81_FR_86720 81 FR 86490 - Greenhouse Gas Reporting Rule: Leak Detection Methodology Revisions and Confidentiality Determinations for Petroleum and Natural Gas Systems

81 FR 86490 - Greenhouse Gas Reporting Rule: Leak Detection Methodology Revisions and Confidentiality Determinations for Petroleum and Natural Gas Systems

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 81, Issue 230 (November 30, 2016)

Page Range86490-86519
FR Document2016-27981

The Environmental Protection Agency is finalizing revisions and confidentiality determinations for the petroleum and natural gas systems source category of the Greenhouse Gas Reporting Program. In particular, this action adds new monitoring methods for detecting leaks from oil and gas equipment in the petroleum and natural gas systems source category consistent with the fugitive emissions monitoring methods in the recently finalized new source performance standards for the oil and gas industry. This action also adds emission factors for leaking equipment to be used in conjunction with these monitoring methods to calculate and report greenhouse gas emissions resulting from equipment leaks. Finally, this action finalizes reporting requirements and confidentiality determinations for nine new or substantially revised data elements contained in these amendments.

Federal Register, Volume 81 Issue 230 (Wednesday, November 30, 2016)
[Federal Register Volume 81, Number 230 (Wednesday, November 30, 2016)]
[Rules and Regulations]
[Pages 86490-86519]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-27981]



[[Page 86489]]

Vol. 81

Wednesday,

No. 230

November 30, 2016

Part III





Environmental Protection Agency





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40 CFR Part 98





Greenhouse Gas Reporting Rule: Leak Detection Methodology Revisions and 
Confidentiality Determinations for Petroleum and Natural Gas Systems; 
Final Rule

Federal Register / Vol. 81 , No. 230 / Wednesday, November 30, 2016 / 
Rules and Regulations

[[Page 86490]]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 98

[EPA-HQ-OAR-2015-0764; FRL-9955-12-OAR]
RIN 2060-AS73


Greenhouse Gas Reporting Rule: Leak Detection Methodology 
Revisions and Confidentiality Determinations for Petroleum and Natural 
Gas Systems

AGENCY: Environmental Protection Agency (EPA).

ACTION: Final rule.

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SUMMARY: The Environmental Protection Agency is finalizing revisions 
and confidentiality determinations for the petroleum and natural gas 
systems source category of the Greenhouse Gas Reporting Program. In 
particular, this action adds new monitoring methods for detecting leaks 
from oil and gas equipment in the petroleum and natural gas systems 
source category consistent with the fugitive emissions monitoring 
methods in the recently finalized new source performance standards for 
the oil and gas industry. This action also adds emission factors for 
leaking equipment to be used in conjunction with these monitoring 
methods to calculate and report greenhouse gas emissions resulting from 
equipment leaks. Finally, this action finalizes reporting requirements 
and confidentiality determinations for nine new or substantially 
revised data elements contained in these amendments.

DATES: This final rule is effective on January 1, 2017.

ADDRESSES: The EPA has established a docket for this action under 
Docket ID No. EPA-HQ-OAR-2015-0764. All documents in the docket are 
listed on the http://www.regulations.gov Web site. Although listed in 
the index, some information is not publicly available, e.g., 
confidential business information (CBI) or other information whose 
disclosure is restricted by statute. Certain other material, such as 
copyrighted material, is not placed on the Internet and will be 
publicly available only in hard copy form. Publicly available docket 
materials are available electronically through http://www.regulations.gov.

FOR FURTHER INFORMATION CONTACT: Carole Cook, Climate Change Division, 
Office of Atmospheric Programs (MC-6207A), Environmental Protection 
Agency, 1200 Pennsylvania Ave. NW., Washington, DC 20460; telephone 
number: (202) 343-9334; fax number: (202) 343-2342; email address: 
[email protected]. For technical information, please go to the 
Greenhouse Gas Reporting Rule Web site, http://www.epa.gov/ghgreporting/. To submit a question, select Help Center, followed by 
``Contact Us.''
    Worldwide Web (WWW). In addition to being available in the docket, 
an electronic copy of this final rule will also be available through 
the WWW. Following the Administrator's signature, a copy of this action 
will be posted on the EPA's Greenhouse Gas Reporting Rule Web site at 
http://www.epa.gov/ghgreporting/index.html.

SUPPLEMENTARY INFORMATION: 
    Regulated Entities. These revisions affect entities that must 
submit annual greenhouse gas (GHG) reports under the Greenhouse Gas 
Reporting Program (GHGRP), codified in the Code of Federal Regulations 
(CFR) at 40 CFR part 98. This rule applies to all petroleum and natural 
gas systems facilities that are subject to 40 CFR part 98, regardless 
of the facility's location, and ensures that all these facilities 
across the United States (U.S.) report GHG data consistently, and 
therefore is ``nationally applicable'' within the meaning of section 
307(b)(1) of the Clean Air Act (CAA). Further, the Administrator has 
determined that rules codified in 40 CFR part 98 are subject to the 
provisions of CAA section 307(d). (See CAA section 307(d)(1)(V) (the 
provisions of section 307(d) apply to ``such other actions as the 
Administrator may determine'').) These are amendments to existing 
regulations. These amended regulations affect owners or operators of 
petroleum and natural gas systems that directly emit GHGs. Regulated 
categories and entities include, but are not limited to, those listed 
in Table 1 of this preamble:

           Table 1--Examples of Affected Entities by Category
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                                                   Examples of affected
            Category                NAICS \a\           facilities
------------------------------------------------------------------------
Petroleum and Natural Gas                486210  Pipeline transportation
 Systems.                                         of natural gas.
                                         221210  Natural gas
                                                  distribution.
                                         211111  Crude petroleum and
                                                  natural gas
                                                  extraction.
                                         211112  Natural gas liquid
                                                  extraction.
------------------------------------------------------------------------
\a\ North American Industry Classification System.

    Table 1 of this preamble is not intended to be exhaustive, but 
rather provides a guide for readers regarding facilities likely to be 
affected by this action. Other types of facilities than those listed in 
the table could also be subject to reporting requirements. To determine 
whether you are affected by this action, you should carefully examine 
the applicability criteria found in 40 CFR part 98, subpart A and 40 
CFR part 98, subpart W. If you have questions regarding the 
applicability of this action to a particular facility, consult the 
person listed in the preceding FOR FURTHER INFORMATION CONTACT section.
    What is the effective date? The final rule is effective on January 
1, 2017. Section 553(d) of the Administrative Procedure Act (APA), 5 
U.S.C. Chapter 5, generally provides that rules may not take effect 
earlier than 30 days after they are published in the Federal Register. 
The EPA is issuing this final rule under section 307(d)(1) of the Clean 
Air Act, which states: ``The provisions of section 553 through 557 * * 
* of Title 5 shall not, except as expressly provided in this section, 
apply to actions to which this subsection applies.'' Thus, section 
553(d) of the APA does not apply to this rule. The EPA is nevertheless 
acting consistently with the purposes underlying APA section 553(d) in 
making the first set of amendments to this rule effective on January 1, 
2017. Section 553(d) allows an effective date less than 30 days after 
publication for a rule that ``grants or recognizes an exemption or 
relieves a restriction'' or ``as otherwise provided by the agency for 
good cause found and published with the rule.'' As explained below, the 
EPA finds that there is good cause for the first set of amendments to 
this rule to become effective on January 1, 2017, even though this may 
result in an effective date fewer than 30 days from date of publication 
in the Federal Register.
    While this action is being signed prior to December 1, 2016, there 
is likely to

[[Page 86491]]

be a significant delay in the publication of this rule as it contains 
complex equations and tables and is relatively long. As an example, the 
EPA Administrator signed the Greenhouse Gas Reporting Rule: 2015 
Revisions and Confidentiality Determinations for Petroleum and Natural 
Gas Systems final rule on October 1, 2015, but the rule was not 
published in the Federal Register until October 22, 2015 (80 FR 64262). 
The purpose of the 30-day waiting period prescribed in 5 U.S.C. 553(d) 
is to give affected parties a reasonable time to adjust their behavior 
and prepare before the final rule takes effect. To employ the APA 
section 553(d)(3) ``good cause'' exemption, an agency must balance the 
necessity for immediate implementation against principles of 
fundamental fairness which require that all affected persons be 
afforded a reasonable amount of time to prepare for the effective date 
of its ruling.\1\ Where, as here, the final rule will be signed and 
made available on the EPA Web site more than 30 days before the 
effective date, but where the publication is likely to be delayed due 
to the complexity and length of the rule, the regulated entities are 
afforded this reasonable amount of time. We balance these circumstances 
with the need for the amendments to be effective by January 1, 2017; a 
delayed effective date would result in regulatory uncertainty, program 
disruption, and an inability to have the amendments effective for the 
2017 reporting year. Accordingly, we find good cause exists to make 
this rule effective on January 1, 2017, consistent with the purposes of 
APA section 553(d)(3).
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    \1\ Omnipoint Corp. v. FCC, 78 F3d 620, 630 (D.C. Cir. 1996), 
quoting U.S. v. Gavrilovic, 551 F.2d 1099, 1105 (8th Cir. 1977).
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    Judicial Review. Under CAA section 307(b)(1), judicial review of 
this final rule is available only by filing a petition for review in 
the U.S. Court of Appeals for the District of Columbia Circuit (the 
Court) by January 30, 2017 Under CAA section 307(d)(7)(B), only an 
objection to this final rule that was raised with reasonable 
specificity during the period for public comment can be raised during 
judicial review. Section 307(d)(7)(B) of the CAA also provides a 
mechanism for the EPA to convene a proceeding for reconsideration, 
``[i]f the person raising an objection can demonstrate to the EPA that 
it was impracticable to raise such objection within [the period for 
public comment] or if the grounds for such objection arose after the 
period for public comment (but within the time specified for judicial 
review) and if such objection is of central relevance to the outcome of 
the rule.'' Any person seeking to make such a demonstration to us 
should submit a Petition for Reconsideration to the Office of the 
Administrator, Environmental Protection Agency, Room 3000, William 
Jefferson Clinton Building, 1200 Pennsylvania Ave. NW., Washington, DC 
20460, with a copy to the person listed in the preceding FOR FURTHER 
INFORMATION CONTACT section, and the Associate General Counsel for the 
Air and Radiation Law Office, Office of General Counsel (Mail Code 
2344A), Environmental Protection Agency, 1200 Pennsylvania Ave. NW., 
Washington, DC 20004. Note that under CAA section 307(b)(2), the 
requirements established by this final rule may not be challenged 
separately in any civil or criminal proceedings brought by the EPA to 
enforce these requirements.
    Acronyms and Abbreviations. The following acronyms and 
abbreviations are used in this document.

APA Administrative Procedure Act
CAA Clean Air Act
CBI Confidential Business Information
CFR Code of Federal Regulations
CH4 methane
CO2 carbon dioxide
CRA Congressional Review Act
DOT Department of Transportation
EPA U.S. Environmental Protection Agency
FR Federal Register
GHG greenhouse gas
GHGRP Greenhouse Gas Reporting Program
GRI Gas Research Institute
ICR Information Collection Request
LNG liquefied natural gas
NAICS North American Industry Classification System
NSPS New Source Performance Standards
NTTAA National Technology Transfer and Advancement Act
OGI optical gas imaging
OMB Office of Management and Budget
ppmv parts per million by volume
PRA Paperwork Reduction Act
RFA Regulatory Flexibility Act
U.S. United States
UMRA Unfunded Mandates Reform Act
VOC volatile organic compounds
WWW Worldwide Web

    Organization of This Document. The following outline is provided to 
aid in locating information in this preamble.

I. Background
    A. Organization of This Preamble
    B. Background on This Action
    C. Legal Authority
    D. How do these amendments apply to 2016 and 2017 reports?
II. Summary of Final Revisions and Other Amendments to Subpart W and 
Responses to Public Comment
    A. Summary of Final Amendments--General
    B. Summary of Final Amendments to the Requirement To Use the 
Calculation Methodology Based on Equipment Leak Surveys
    C. Summary of Final Amendments to Monitoring Methods
    D. Summary of Final Amendments to Components To Be Surveyed
    E. Summary of Final Amendments to Leaker Emission Factors and 
the Calculation Methodology Based on Equipment Leak Surveys
    F. Summary of Final Amendments to Reporting Requirements
III. Final Confidentiality Determinations
    A. Summary of Final Confidentiality Determinations for New or 
Substantially Revised Subpart W Data Elements
    B. Summary of Public Comments and Responses on the Proposed 
Confidentiality Determinations
IV. Impacts of the Final Amendments to Subpart W
    A. Impacts of the Final Amendments
    B. Summary of Comments and Responses on the Impacts of the 
Proposed Rule
V. Statutory and Executive Order Reviews
    A. Executive Order 12866: Regulatory Planning and Review and 
Executive Order 13563: Improving Regulation and Regulatory Review
    B. Paperwork Reduction Act
    C. Regulatory Flexibility Act (RFA)
    D. Unfunded Mandates Reform Act (UMRA)
    E. Executive Order 13132: Federalism
    F. Executive Order 13175: Consultation and Coordination With 
Indian Tribal Governments
    G. Executive Order 13045: Protection of Children From 
Environmental Health Risks and Safety Risks
    H. Executive Order 13211: Actions Concerning Regulations That 
Significantly Affect Energy Supply, Distribution or Use
    I. National Technology Transfer and Advancement Act
    J. Executive Order 12898: Federal Actions to Address 
Environmental Justice in Minority Populations and Low-Income 
Populations
    K. Congressional Review Act

I. Background

A. Organization of This Preamble

    Section I of this preamble provides background information 
regarding the origin of the final amendments. This section also 
discusses the EPA's legal authority under the CAA to promulgate and 
amend 40 CFR part 98 of the Greenhouse Gas Reporting Rule (hereafter 
referred to as ``part 98'') as well as the legal authority for making 
confidentiality determinations for the data to be reported. Section II 
of this preamble contains information on the final amendments to part 
98, subpart W (Petroleum and Natural Gas Systems) (hereafter referred 
to as ``subpart W''), including a summary of the major comments that 
the EPA considered in the development of this final rule. Section III 
of this preamble discusses the final confidentiality determinations for 
new or substantially revised data

[[Page 86492]]

reporting elements. Section IV of this preamble discusses the impacts 
of the final amendments to subpart W. Finally, section V of this 
preamble describes the statutory and executive order requirements 
applicable to this action.

B. Background on This Action

    The EPA's GHGRP requires annual reporting of GHG data and other 
relevant information from large sources and suppliers in the United 
States. On October 30, 2009, the EPA published part 98 in the Federal 
Register (FR) for collecting information regarding GHG emissions from a 
broad range of industry sectors (74 FR 56260). Although reporting 
requirements for petroleum and natural gas systems were originally 
proposed to be part of part 98 (74 FR 16448, April 10, 2009), the final 
October 2009 rulemaking did not include the petroleum and natural gas 
systems source category as one of the 29 source categories for which 
reporting requirements were finalized. The EPA re-proposed subpart W in 
2010 (75 FR 18608; April 12, 2010), and a subsequent final rulemaking 
was published on November 30, 2010, with the requirements for the 
petroleum and natural gas systems source category at 40 CFR part 98, 
subpart W (75 FR 74458). Following promulgation, the EPA finalized 
several actions revising subpart W (76 FR 22825, April 25, 2011; 76 FR 
53057, August 25, 2011; 76 FR 59533, September 27, 2011; 76 FR 80554, 
December 23, 2011; 77 FR 51477, August 24, 2012; 78 FR 25392, May 1, 
2013; 78 FR 71904, November 29, 2013; 79 FR 70352, November 25, 2014; 
80 FR 64262, October 22, 2015).\2\
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    \2\ See Greenhouse Gas Reporting Program, Historical 
Rulemakings. Available at https://www.epa.gov/ghgreporting/rulemaking-notices-ghg-reporting.
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    The Strategy to Reduce Methane Emissions in the President's Climate 
Action Plan summarizes the sources of CH4 emissions, commits 
to new steps to cut emissions of this potent GHG, and outlines the 
Administration's efforts to improve the measurement of these emissions. 
The strategy builds on progress to date and takes steps to further cut 
CH4 emissions from several sectors, including the oil and 
natural gas sector. In the strategy, the EPA was specifically tasked 
with continuing to review GHGRP regulatory requirements to address 
potential gaps in coverage, improve methods, and ensure high quality 
data reporting.\3\ On January 14, 2015, the Obama administration 
provided additional direction to the EPA to ``explore potential 
regulatory opportunities for applying remote sensing technologies and 
other innovations in measurement and monitoring technology to further 
improve the identification and quantification of emissions'' in the oil 
and natural gas sector, such as the emissions submitted as part of 
GHGRP annual reporting.\4\
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    \3\ Climate Action Plan--Strategy to Reduce Methane Emissions. 
The White House, Washington, DC, March 2014. Available at http://www.whitehouse.gov/sites/default/files/strategy_to_reduce_methane_emissions_2014-03-28_final.pdf.
    \4\ FACT SHEET: Administration Takes Steps Forward on Climate 
Action Plan by Announcing Actions to Cut Methane Emissions. The 
White House, Office of the Press Secretary, January 14, 2015. 
Available at https://www.whitehouse.gov/the-press-office/2015/01/14/fact-sheet-administration-takes-steps-forward-climate-action-plan-anno-1.
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    Under subpart W, GHGs that must be reported by each industry 
segment and applicable source types are specified in 40 CFR 98.232, 
including equipment leaks from listed component types. In order to 
fulfill these equipment leak emissions reporting requirements, 
reporters must utilize one of two calculation methodologies \5\ to 
calculate GHG emissions from equipment leaks as specified in 40 CFR 
98.233: (1) Calculation methodology based on equipment leak surveys (40 
CFR 98.233(q)), or (2) calculation methodology based on population 
counts (40 CFR 98.233(r).\6\ For example, facilities in the Onshore 
Natural Gas Processing and Onshore Natural Gas Transmission Compression 
industry segments use the calculation methodology based on equipment 
leak surveys for most components at their facilities. If 40 CFR 
98.233(q) specifies that an equipment leak survey is required for the 
subsection of listed component types in 40 CFR 98.232, reporters must 
use one of the monitoring methods specified in 40 CFR 98.234 when 
conducting those equipment leak surveys to detect leaking components at 
the facility. The calculation methodology based on equipment leak 
surveys requires that the reporter then determine the total amount of 
time each component was assumed to be leaking and multiply that by the 
concentration of the methane (CH4) and carbon dioxide 
(CO2) in the gas and the applicable emission factor 
(referred to as a ``leaker emission factor''), listed in Table W-1E and 
Table W-2 through Table W-7, to calculate emissions. Finally, 40 CFR 
98.236 specifies the data elements that must be reported to the EPA.
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    \5\ Throughout this preamble, the term ``calculation 
methodology'' refers to the procedures used to calculate emissions 
(e.g., ``calculation methodology based on equipment leak surveys'' 
refers to the methodology described in 40 CFR 98.233(q)) and 
``monitoring method'' refers to the technology, test method, or 
other method of determining whether an individual component is 
leaking (see 40 CFR 98.234(a)). The term ``leak detection method'' 
that is used in the 40 CFR part 98 subpart W regulatory text has the 
same meaning as ``monitoring method'' used in this preamble.
    \6\ Reporters using the calculation methodology based on 
population counts determine the total number of all components in 
the facility and multiply that count by the average estimated time 
of operation, the concentration of the CH4 and 
CO2 in the gas, and the applicable emission factor 
(referred to as a ``population emission factor'') to calculate 
emissions.
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    On January 29, 2016, the EPA proposed ``Leak Detection Methodology 
Revisions and Confidentiality Determinations for Petroleum and Natural 
Gas Systems'' (81 FR 4987) to add new monitoring methods for detecting 
leaks from oil and gas equipment, to revise which industry segments and 
sources use the calculation methodology based on equipment leak surveys 
or the calculation methodology based on population counts, to clarify 
how the definition of fugitive emission components in the new source 
performance standards (NSPS) for the oil and natural gas sector (40 CFR 
part 60, subpart OOOOa, at 81 FR 35824) (hereafter referred to as the 
``NSPS subpart OOOOa'') aligns with the equipment components subject to 
subpart W, to add leaker emission factors for multiple industry 
segments, and to add reporting requirements and confidentiality 
determinations for new or substantially revised data elements. Under 
those proposed amendments, facilities with fugitive emissions 
components at a well site or compressor station subject to the NSPS 
subpart OOOOa would use data derived from the NSPS subpart OOOOa 
fugitive emissions requirements (i.e., which components were determined 
to have fugitive emissions) along with the subpart W leaker emission 
factors to calculate and report GHG emissions to the GHGRP. The 
proposed revisions provided the opportunity for owners and operators of 
sources not subject to the NSPS subpart OOOOa well site or compressor 
station fugitive emissions standards (e.g., sources participating in a 
voluntarily implemented program) and not already required to conduct 
leak surveys under subpart W to optionally use the calculation 
methodology at 40 CFR 98.233(q) to calculate and report their GHG 
emissions to the GHGRP. The EPA also proposed that facilities that are 
already required to conduct leak surveys under subpart W would be able 
to use the newly proposed monitoring method(s) in 40 CFR 98.234. In 
addition, the EPA proposed new reporting requirements for all reporters 
using the calculation methodology

[[Page 86493]]

based on equipment leak surveys and proposed to require reporters using 
the calculation methodology for the first time to begin reporting the 
information associated with that methodology. Finally, the EPA proposed 
confidentiality determinations for nine new or substantially revised 
data elements. The public comment period for these proposed rule 
amendments ended on March 15, 2016, following a 15-day extension of the 
original comment period end date (81 FR 9797; February 26, 2016). On 
June 3, 2016, the EPA published the final NSPS subpart OOOOa 
requirements (81 FR 35824).
    In this action, the EPA is finalizing revisions to subpart W 
largely as proposed, with some changes made after consideration of 
public comments. Summaries of significant comments submitted on the 
proposed amendments and the EPA's responses to those comments can be 
found in sections II, III, and IV of this preamble. All comments 
submitted on the proposed amendments and the EPA's additional responses 
to the comments can be found in ``Response to Public Comments on 
Greenhouse Gas Reporting Rule: Leak Detection Methodology Revisions and 
Confidentiality Determinations for Petroleum and Natural Gas Systems'' 
in Docket ID No. EPA-HQ-OAR-2015-0764.
    As further detailed in the preamble to the proposed amendments, 
these revisions advance the EPA's goal of maximizing rule effectiveness 
by providing a mechanism for facilities to use the NSPS subpart OOOOa 
monitoring results for purposes of GHGRP subpart W reporting. This 
alignment reduces burden for entities subject to the fugitive 
emissions/equipment leak detection method requirements in both 
programs, and, when combined with the other amendments being finalized 
in this revision, provides clear monitoring methods, equipment leak 
survey and calculation methodologies and emission factors, and 
reporting requirements in subpart W, thus enabling government, 
regulated entities, and the public to easily identify and understand 
regulatory requirements. These amendments also further advance the 
ability of the GHGRP to provide access to high quality data on GHG 
emissions by adding the ability for reporters to use data collected 
during equipment leak surveys and to perform site-specific equipment 
leak calculations.

C. Legal Authority

    The EPA is finalizing these rule amendments under its existing CAA 
authority provided in CAA section 114. As stated in the preamble to the 
2009 final GHG reporting rule (74 FR 56260; October 30, 2009), CAA 
section 114(a)(1) provides the EPA broad authority to require the 
information to be gathered by this rule because such data will inform 
and are relevant to the EPA's carrying out a wide variety of CAA 
provisions. See the preambles to the proposed (74 FR 16448; April 10, 
2009) and final GHG reporting rule (74 FR 56260; October 30, 2009) for 
further information.
    In addition, pursuant to sections 114, 301, and 307 of the CAA, the 
EPA is publishing final confidentiality determinations for the new or 
substantially revised data elements required by these amendments. 
Section 114(c) requires that the EPA make information obtained under 
section 114 available to the public, except for information (excluding 
emission data) that qualifies for confidential treatment. The 
Administrator has determined that this action is subject to the 
provisions of section 307(d) of the CAA. Section 307(d) contains a set 
of procedures relating to the issuance and review of certain CAA rules.

D. How do these amendments apply to 2016 and 2017 reports?

    These amendments are effective on January 1, 2017. Starting with 
the 2017 reporting year, facilities must follow the revised methods to 
detect equipment leaks (if applicable) and to calculate and report 
their annual equipment leak emissions. The first annual reports of 
emissions calculated using the amended requirements will be those 
submitted by April 2, 2018, covering reporting year 2017. For reporting 
year 2016, reporters will calculate emissions according to the 
requirements in part 98 that are applicable to reporting year 2016 
(i.e., the requirements in place until the effective date of this final 
rule).

II. Summary of Final Revisions and Other Amendments to Subpart W and 
Responses to Public Comment

    Sections II.A through II.F of this preamble describe the revisions 
that we are finalizing in this rulemaking. Section II.A provides a 
general summary of the final amendments to subpart W. Section II.B 
describes the final amendments to the requirement to use the 
calculation methodology based on equipment leak surveys. Section II.C 
describes the final amendments to the subpart W monitoring methods. 
Section II.D describes the final amendments for component types to be 
surveyed. Section II.E describes the final amendments to the subpart W 
leaker emission factors. Finally, section II.F provides a summary of 
the final amendments to the subpart W reporting requirements. The 
amendments described in each section are followed by a summary of the 
major comments on those amendments and the EPA's responses. See 
``Response to Public Comments on Greenhouse Gas Reporting Rule: Leak 
Detection Methodology Revisions and Confidentiality Determinations for 
Petroleum and Natural Gas Systems'' in Docket ID No. EPA-HQ-OAR-2015-
0764 for a complete listing of all comments and the EPA's responses.

A. Summary of Final Amendments--General

1. Summary of Final Amendments
    In this action, the EPA is amending subpart W to add new monitoring 
methods for detecting leaks from oil and gas equipment in the petroleum 
and natural gas systems source category consistent with the NSPS 
subpart OOOOa. The EPA is also specifying that facilities with a 
collection of fugitive emissions components at a well site or 
compressor station subject to the NSPS subpart OOOOa (40 CFR 60.5397a) 
would be required to survey those components, except as otherwise 
specified in this subpart W final rule, for the subpart W calculation 
methodology based on equipment leak surveys using one of the new 
monitoring methods being added to subpart W. In practice, this means 
that facilities can use the results of the NSPS subpart OOOOa-required 
fugitive emissions monitoring survey to fulfill these subpart W 
requirements. The EPA is adding leaker emission factors to be used in 
conjunction with the calculation methodology based on equipment leak 
surveys to calculate and report GHG emissions. The revisions provide 
the opportunity for owners and operators of sources not subject to the 
NSPS subpart OOOOa well site or compressor station fugitive emissions 
standards (e.g., sources participating in a voluntarily implemented 
program) and not already required to conduct leak surveys under subpart 
W to optionally use the calculation methodology at 40 CFR 98.233(q) to 
calculate and report their GHG emissions, and to use the new monitoring 
methods in 40 CFR 98.234 to do so.
    Facilities in certain subpart W industry segments \7\ that are 
already required to conduct leak surveys will be able to use the new 
monitoring methods

[[Page 86494]]

in 40 CFR 98.234. If they use either of the two new monitoring methods 
in 40 CFR 98.234(a)(6) or (7) that are consistent with the NSPS subpart 
OOOOa, then in addition to surveying the components currently subject 
to the survey requirements in subpart W, they must also survey all 
other components that are fugitive emissions components in the NSPS 
subpart OOOOa, with limited exceptions, as specified in 40 CFR 98.232 
(see sections II.C and II.D of this preamble). If they use any of the 
monitoring methods currently in 40 CFR 98.234(a)(1) through (5), then 
in addition to surveying the components currently subject to the survey 
requirements in subpart W, they may elect to survey the other 
components specified in 40 CFR 98.232.
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    \7\ These segments are Onshore Natural Gas Transmission 
Compression, Underground Natural Gas Storage, LNG Storage, and LNG 
Import and Export Equipment.
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    The comments received on this rule generally do not dispute the 
merit of allowing the use of new monitoring methods in subpart W, but 
they do include issues related to the adequacy of the notice and 
comment process, the calculation methodology based on equipment leak 
surveys, reporting, and applicability.

2. Summary of Comments and Responses

    Comment: Numerous commenters stated that the EPA's reference to the 
proposed NSPS subpart OOOOa included in the subpart W proposal was 
premature, and substantively and procedurally flawed. According to 
these commenters, by relying on a proposed action, the EPA did not 
provide the opportunity for notice or comment on how the rule would 
ultimately affect stakeholders. These commenters stated that at the 
very least the EPA made it difficult and increased burden for 
stakeholders to evaluate scope and impacts and to provide comment. 
Commenters stated that they could only comment on the effect of the 
incorporation of the NSPS subpart OOOOa proposed requirements, as they 
could not review and comment on the effect of the finalized NSPS 
subpart OOOOa requirements on subpart W prior to closure of the comment 
period for the subpart W proposal. Specifically, the commenters 
expressed concern that because the EPA received so many comments on the 
proposed NSPS subpart OOOOa, the final NSPS subpart OOOOa provisions 
would likely be significantly different in certain aspects and that 
those details were unknowable at the time of comment. Noting that the 
EPA expressed intent in the preamble to the subpart W proposed 
amendments to incorporate the final NSPS subpart OOOOa provisions in 
the final subpart W rule, the commenters stated they inherently would 
have no formal opportunity to meaningfully comment on the effect those 
final NSPS subpart OOOOa provisions would have on subpart W reporters. 
Several commenters stated that this created substantive and procedural 
flaws in the proposed rule, as the EPA provided neither the ``terms or 
substance'' nor a ``description of the subjects and issues involved'' 
of the proposed rule as required for notice and comment rulemaking 
under the Administrative Procedure Act, 5 U.S.C. 553(b), nor did the 
EPA meet the more stringent notice and comment requirements of CAA 
section 307. Several commenters stated that EPA similarly did not 
consider changes that might be made to the final NSPS subpart OOOOa 
through the judicial review process.
    Several commenters requested that the EPA either finalize, or re-
propose or re-open the public comment period for, the proposed 
alignment of subpart W with the NSPS subpart OOOOa only after the NSPS 
subpart OOOOa is finalized. Other commenters requested that the EPA 
withdraw the proposal to amend subpart W and reconsider whether any 
revisions are necessary once the NSPS subpart OOOOa is in effect.
    Response: The EPA disagrees that the proposed rule for this subpart 
W revision was premature, or substantively and procedurally flawed. 
This action is focused on aligning the subpart W requirements, to the 
extent possible, with the finalized NSPS subpart OOOOa fugitive 
emission requirements so that facilities may use the results of the 
NSPS subpart OOOOa-required fugitive emissions monitoring surveys to 
fulfill subpart W requirements, and does so through revisions that 
incorporate final NSPS subpart OOOOa monitoring methods into subpart W 
and make their use mandatory in subpart W surveys for most components 
subject to NSPS subpart OOOOa. The proposed rule for subpart W clearly 
specified that only a monitoring method finalized in the NSPS subpart 
OOOOa rule would be finalized for subpart W, which ensured that no 
requirement would reference any monitoring method that was merely at 
proposal stage. The proposed rule provided adequate notice and 
opportunity to comment on how the rule will affect stakeholders, and 
thus this final rule is in compliance with the relevant requirements of 
CAA section 307(d). Multiple commenters cited the Administrative 
Procedure Act (APA), including 5 U.S.C. 553(b)(3), which requires that 
a notice of proposed rulemaking shall include ``either the terms or 
substance of the proposed rule or a description of the subjects and 
issues involved.'' The EPA notes that our process is also consistent 
with the notice and comment requirements of the APA, 5 U.S.C. 551-559. 
In the preamble to the proposed and final rule, as well as in 
``Response to Public Comments on Greenhouse Gas Reporting Rule: Leak 
Detection Methodology Revisions and Confidentiality Determinations for 
Petroleum and Natural Gas Systems'' in Docket ID No. EPA-HQ-OAR-2015-
0764, the EPA describes at length the statement and purpose of the 
revisions, provides explanations for any changes in the rule, and 
responds to all comments submitted.
    Specifically, in regards to the proposed rule referencing the then 
proposed NSPS subpart OOOOa monitoring method(s) and fugitive emissions 
component definition,\8\ the EPA disagrees that the proposed rule did 
not give adequate notice and therefore the EPA did not re-propose or 
re-open the comment period for this action. The proposed rule clearly 
laid out the EPA's proposal and requested comment regarding 
alternatives, as well as the detailed reasoning behind and goals of the 
proposal. The EPA provided this detailed explanation to ensure that 
commenters had ample notice of the revisions under consideration, and 
provided 45 days for the public comment period. This process accords 
with proper notice and comment procedure. Commenters posit that 
referencing the then proposed NSPS subpart OOOOa standard in the 
proposed rule renders this notice premature and inadequate, and the EPA 
respectfully disagrees. First, in proposing to add the NSPS subpart 
OOOOa equipment leak detection methods as approved monitoring methods 
for subpart W surveys, the EPA was not proposing to require any new 
collection of data under subpart W, as the data on fugitive emissions 
components would already be collected to meet the requirements of NSPS 
subpart OOOOa. Instead, the EPA proposed to add these new monitoring 
methods under subpart W so that reporters would be able to use, for the 
purpose of compliance with the proposed mandatory subpart W equipment 
leak survey, calculation, and reporting requirements, whatever data 
would already be collected as a result of complying with the monitoring 
method(s) that would be finalized in the NSPS subpart OOOOa. Similarly, 
while the EPA proposed to include all fugitive emissions components 
subject to the

[[Page 86495]]

final NSPS subpart OOOOa monitoring methods within subpart W emissions 
reporting requirements, with some exceptions, which would mean that 
additional components would fall within the scope of subpart W 
applicability, these data would already be collected under the NSPS 
subpart OOOOa, meaning that no new data would need to be collected for 
subpart W that was not already required by another CAA program. As 
such, the substance of the monitoring method(s) and fugitive emission 
component definition was not at issue for purposes of subpart W within 
these revisions, as that process took place within the NSPS subpart 
OOOOa rulemaking. Rather, the EPA ensured that reporters were provided 
notice of the proposal to add the monitoring methods and scope of 
components that would be finalized under the NSPS OOOOa as additional 
monitoring methods and applicable components for subpart W, provided 
notice of the proposed additional subpart W equipment leak survey, 
calculation, and reporting requirements for equipment components 
subject to the NSPS subpart OOOOa, and made clear that the intent of 
these revisions was to align the programs so that reporters would use 
the data gathered in complying with the finalized NSPS subpart OOOOa to 
comply with their subpart W requirements. The proposed rule further 
explained the purpose behind this proposed revision, as detailed in the 
proposed rule (81 FR 4987; January 29, 2016), including reducing burden 
on reporters by minimizing the potential equipment leak surveys 
required at a given facility across CAA programs. As noted earlier, the 
proposed rule for subpart W clearly specified that only a monitoring 
method finalized in the NSPS subpart OOOOa rule would be finalized for 
subpart W, which ensured that no requirement would reference any 
monitoring method that was merely at proposal stage. In fact, the 
proposed rule for subpart W clearly detailed the NSPS subpart OOOOa 
proposed monitoring method, and identified that the NSPS subpart OOOOa 
proposal included a potential alternative monitoring method, and 
furthermore explained that any method(s) added in this final subpart W 
action would be the method(s) that were finalized in the NSPS subpart 
OOOOa.
---------------------------------------------------------------------------

    \8\ The NSPS subpart OOOOa rule has since been finalized. 81 FR 
35824 (June 3, 2016).
---------------------------------------------------------------------------

    Furthermore, Subpart W currently includes an optical gas imaging 
(OGI) method (see 40 CFR 98.234(a)(1)) and Method 21 (40 CFR 
98.234(a)(2)) in the subpart W list of monitoring methods. While there 
are differences in the application of the methods between the current 
subpart W and the final NSPS subpart OOOOa,\9\ necessitating this 
revision, current use of OGI and Method 21 for purposes of subpart W 
provides support that the methods at issue provide reliable data for 
use in subpart W emissions reporting.
---------------------------------------------------------------------------

    \9\ See section II.C of this preamble.
---------------------------------------------------------------------------

    This final rule incorporates the monitoring methods finalized in 
the NSPS subpart OOOOa with some changes from proposal. To the extent 
the specifics of how this final subpart W rule is adding method(s) in 
accordance with the NSPS subpart OOOOa differ from the specifics in the 
subpart W proposal, as explained further in section II.C of this 
preamble, these changes are consistent with the purpose detailed in the 
proposed rule and were made to ensure only those portions of the final 
NSPS subpart OOOOa that are essential to the integrity of the methods 
are referenced within the requirements of subpart W. This final rule 
revises applicable components subject to subpart W to include all 
components subject to the final NSPS subpart OOOOa, except for the 
finalized as proposed exclusion of certain components, as further 
detailed in section II.D of this preamble. The EPA notes that while we 
finalized the reference to the NSPS subpart OOOOa with certain 
exceptions regarding applicable components as proposed, the final NSPS 
subpart OOOOa definition of fugitive emission components was narrower 
in scope than that rule's proposal. This final rule also includes 
revisions, with some changes from proposal as detailed in Sections 
II.B, II.D, II.E, and II.F of this preamble, to how reporters must use 
the data obtained in accordance with the methods finalized in the NSPS 
subpart OOOOa for subpart W reporting.
    Although the EPA's own reasoned consideration and its assessment of 
public comment have resulted in some modifications to the final rule, 
as explained further in sections II.B through II.F of this preamble, 
such changes reflect the goals and alternatives in the EPA's original 
proposal, and the proposed rule ensured that interested parties were 
``fairly apprised'' of the elements ultimately included in this final 
rulemaking. See, e.g., United Steelworkers of America v. Schuylkill 
Metals, 828 F.2d 314 (5th Cir. 1987).
    While some changes occurred to the NSPS subpart OOOOa requirements 
from proposal to final in that rulemaking, including changes to the 
substance of the monitoring methods and the fugitive emission component 
definition, those substantive changes are out of scope of this subpart 
W rulemaking that is intended to align with the final NSPS subpart 
OOOOa requirements; however, commenters were provided full notice and 
opportunity to comment within that NSPS subpart OOOOa rulemaking, as 
fully explained within those proposed and final preambles, the EPA's 
response to comments, and the docket of that action.\10\
---------------------------------------------------------------------------

    \10\ Docket ID No. EPA-HQ-OAR-2010-0505.
---------------------------------------------------------------------------

    The commenter is correct that the EPA did not consider changes that 
may be made to the final NSPS subpart OOOOa through the judicial review 
process. Any such potential, future changes are premature to consider 
at this time.

B. Summary of Final Amendments to the Requirement To Use the 
Calculation Methodology Based on Equipment Leak Surveys

1. Summary of Final Amendments
    As noted in section I.B of this preamble, subpart W presently 
requires reporters with sources in certain industry segments to use the 
calculation methodology based on population counts according to 40 CFR 
98.233(r). For example, reporters in the Onshore Petroleum and Natural 
Gas Production and the Onshore Petroleum and Natural Gas Gathering and 
Boosting industry segments are required either to count the number of 
equipment components of each type (e.g., valve, connector, open-ended 
line, or pressure relief valve) or to count the number of major 
equipment at the facility and then calculate the number of equipment 
components of each type using default average component counts for each 
piece of major equipment in Tables W-1B and W-1C to subpart W (40 CFR 
98.233(r)(2)). The resulting equipment component counts are then 
multiplied by default ``population emission factors'' in Table W-1A to 
subpart W to calculate emissions from equipment leaks.
    Other reporters are required to use the calculation methodology 
based on equipment leak surveys according to 40 CFR 98.233(q) using one 
of the monitoring methods in 40 CFR 98.234(a). For example, reporters 
in the Onshore Natural Gas Transmission Compression industry segment 
must conduct at least one equipment leak survey in a calendar year for 
the compressor and non-compressor components in gas service listed in 
Table W-3A to subpart W. These reporters then use the number of leaking

[[Page 86496]]

components in the calendar year, the average amount of time each 
component was leaking, and the default ``leaker emission factors'' in 
Table W-3A to subpart W to calculate emissions according to Equation W-
30.
    The EPA is finalizing the proposal to apply the calculation 
methodology based on equipment leak surveys in 40 CFR 98.233(q) to 
additional reporters in subpart W. Specifically, reporters in any 
subpart W industry segment with a well site(s) and/or compressor 
station(s) required to conduct fugitive emissions monitoring to comply 
with the NSPS subpart OOOOa will be required to use the calculation 
methodology based on equipment leak surveys for those components \11\ 
under subpart W using the new monitoring methods consistent with the 
NSPS subpart OOOOa (see section II.C of this preamble). While these are 
new calculation methodology and equipment leak survey requirements for 
the subpart W reporting of these components, reporters may meet the 
survey requirements by counting the actual number of components with 
fugitive emissions identified through implementation of the NSPS 
subpart OOOOa as leaks for purposes of subpart W and use those counts 
with the calculation methodologies specified in 40 CFR 98.233(q) to 
determine equipment leak emissions for those components.
---------------------------------------------------------------------------

    \11\ See section II.D of this preamble.
---------------------------------------------------------------------------

    We received extensive comment regarding the proposed revisions to 
require facilities in the Onshore Natural Gas Processing industry 
segment to use the results of the leak surveys conducted to comply with 
the NSPS subpart OOOOa equipment leak requirements for reporting under 
subpart W. We are still reviewing those comments and are not taking 
final action on those revisions at this time.
    For other sources of equipment leaks (i.e., those not subject to 
the NSPS subpart OOOOa well site or compressor station fugitive 
emissions standards),\12\ the amended subpart W requirements depend on 
whether the component types are currently required to be reported using 
the calculation methodology based on equipment leak surveys (40 CFR 
98.233(q)) or the calculation methodology based on population counts 
(40 CFR 98.233(r)). For components at facilities in industry segments 
that are currently required to use the calculation methodology based on 
equipment leak surveys to comply with subpart W, the EPA is finalizing 
as proposed that reporters must continue to conduct equipment leak 
surveys as required by subpart W but may use any monitoring method in 
40 CFR 98.234(a). If they use either of the two new monitoring methods 
in 40 CFR 98.234(a)(6) or (7) that are consistent with the NSPS subpart 
OOOOa, then in addition to surveying the components currently subject 
to the survey requirements in subpart W, they must also survey all 
other components that are fugitive emissions components in the NSPS 
subpart OOOOa, with limited exceptions, as specified in 40 CFR 98.232 
(see sections II.C and II.D of this preamble). If they use any of the 
monitoring methods currently in 40 CFR 98.234(a)(1) through (5), then 
in addition to surveying the components currently subject to the survey 
requirements in subpart W, they may elect to survey the other 
components specified in 40 CFR 98.232.
---------------------------------------------------------------------------

    \12\ Except for onshore natural gas processing and natural gas 
distribution.
---------------------------------------------------------------------------

    For components at facilities in industry segments that are 
currently required to use the calculation methodology based on 
population counts, the reporter may continue to use that methodology. 
Alternatively, the EPA is finalizing as proposed the option that the 
reporter may elect to use the calculation methodology based on 
equipment leak surveys (40 CFR 98.233(q)(1)(iv)) in lieu of the 
calculation methodology based on population counts (40 CFR 98.233(r)). 
If this option is selected, then the reporter must use any of the 
monitoring methods in 40 CFR 98.234(a). If they use a monitoring method 
in 40 CFR 98.234(a)(6) or (7), then they must survey all components 
that would otherwise be subject to the calculation methodology based on 
population counts, and they must also survey all other components that 
are fugitive emissions components in the NSPS subpart OOOOa, with 
limited exceptions, as specified in 40 CFR 98.232. If they use any of 
the monitoring methods currently in 40 CFR 98.234(a)(1) through (5), 
then in addition to surveying the components that would otherwise be 
subject to the calculation methodology based on population counts, they 
may elect to survey the other specified in 40 CFR 98.232. The intent of 
the new provision in 40 CFR 98.233(q)(1)(iv) is to allow flexibility 
for reporters currently required to use the calculation methodology 
based on population counts for components that are not subject to the 
NSPS subpart OOOOa well site or compressor station fugitive emissions 
standards.
    The burden of using the calculation methodology based on equipment 
leak surveys will be similar to using the existing subpart W 
calculation methodology based on population counts, and the results 
will be more representative of the number of leaks at the facility than 
the calculation methodology based on population counts. Table 2 of this 
preamble provides a summary of the equipment leak calculation 
methodologies and monitoring methods that will be available to each 
industry segment covered by subpart W under these amendments.

                            Table 2--Final Equipment Leak Requirements for Subpart W
----------------------------------------------------------------------------------------------------------------
                                   Components subject to 40 CFR 60.5397a     Components not subject to 40 CFR
                                         of the NSPS subpart OOOOa          60.5397a of the NSPS subpart OOOOa
                                 -------------------------------------------------------------------------------
Subpart W industry  segments \a\                           Subpart W                               Subpart W
                                       Subpart W       monitoring method       Subpart W       monitoring method
                                      calculation     for leak detection      calculation     for leak detection
                                    methodology \b\           \c\             methodology             \d\
----------------------------------------------------------------------------------------------------------------
Onshore Petroleum and Natural     Leak survey (40     OGI or Method 21    Leak survey (40     Any method in 40
 Gas Production.                   CFR 98.233(q)).     as specified in     CFR 98.233(q));     CFR 98.234(a).
                                                       the NSPS subpart    OR                 N/A.
                                                       OOOOa.             Population count
                                                                           (40 CFR
                                                                           98.233(r)).
Onshore Natural Gas Transmission  Leak survey (40     OGI or Method 21    Leak survey (40     Any method in 40
 Compression; Underground          CFR 98.233(q)).     as specified in     CFR 98.233(q))      CFR 98.234(a).
 Natural Gas Storage: Storage                          the NSPS subpart    \e\.
 stations, gas service.                                OOOOa.

[[Page 86497]]

 
Underground Natural Gas Storage:  Leak survey (40     OGI or Method 21    Leak survey (40     Any method in 40
 Storage wellheads, gas service.   CFR 98.233(q)).     as specified in     CFR 98.233(q));     CFR 98.234(a).
                                                       the NSPS subpart    OR                 N/A.
                                                       OOOOa.             Population count
                                                                           (40 CFR
                                                                           98.233(r)).
LNG \f\ Storage: LNG Service;     Leak survey (40     OGI or Method 21    Leak survey (40     Any method in 40
 LNG Import and Export             CFR 98.233(q)).     as specified in     CFR 98.233(q)).     CFR 98.234(a).
 Equipment: LNG Service.                               the NSPS subpart
                                                       OOOOa.
LNG Storage: Gas Service; LNG     Leak survey (40     OGI or Method 21    Leak survey (40     Any method in 40
 Import and Export Equipment:      CFR 98.233(q)).     as specified in     CFR 98.233(q));     CFR 98.234(a).
 Gas Service.                                          the NSPS subpart    OR                 N/A.
                                                       OOOOa.             Population count
                                                                           (40 CFR
                                                                           98.233(r)) g.
----------------------------------------------------------------------------------------------------------------
a Onshore Natural Gas Processing and Natural Gas Distribution are not included in this table because we are not
  revising the calculation methodology and monitoring method for leak detection for these industry segments in
  this action. The current requirements are still applicable to components in these industry segments.
b The term ``calculation methodology'' refers to the procedures used to calculate emissions (e.g., ``calculation
  methodology based on equipment leak surveys'' refers to the methodology described in 40 CFR 98.233(q)) and
  ``monitoring method'' refers to the technology, test method, or other method of determining whether an
  individual component is leaking (see 40 CFR 98.234(a)).
c OGI as specified in the NSPS subpart OOOOa is codified in subpart W at 40 CFR 98.234(a)(6) and Method 21 as
  specified in the NSPS subpart OOOOa is codified in subpart W at 40 CFR 98.234(a)(7).
d ``Any method in 40 CFR 98.234(a)'' means any of the following methods: OGI as specified in 40 CFR 60.18 (40
  CFR 98.234(a)(1)), Method 21 with a leak definition of 10,000 parts per million by volume (ppmv)(40 CFR
  98.234(a)(2)), Infrared laser beam illuminated instrument (40 CFR 98.234(a)(3)), Acoustic leak detection
  device (40 CFR 98.234(a)(5)), OGI as specified in the NSPS subpart OOOOa (40 CFR 98.234(a)(6)) or Method 21
  with a leak definition of 500 ppmv (40 CFR 98.234(a)(7)).
e Reporting is required for emissions from valves, connectors, open-ended lines, pressure relief valves, and
  meters but is optional for instruments and other components unless the reporter elects to use either OGI or
  Method 21 as specified in the NSPS subpart OOOOa (40 CFR 98.234(a)(6) or (7)), in which case reporting is also
  required for instruments and other fugitive emissions components.13
f LNG = liquefied natural gas.
g Reporting is only required for emissions from vapor recovery compressors if this option is chosen.

2. Summary of Comments and Responses

    Comment: Several commenters stated that facilities in the Onshore 
Petroleum and Natural Gas Production and Onshore Petroleum and Natural 
Gas Gathering and Boosting industry segments should not be required to 
use the NSPS subpart OOOOa results to calculate GHG emissions to comply 
with subpart W. They stated that the proposed NSPS subpart OOOOa leak 
detection program was limited to one monitoring method, which is 
inconsistent with the current flexibility for reporters conducting 
equipment leak surveys for subpart W to choose any monitoring method 
within 40 CFR 98.234(a). The commenters asserted that this requirement 
will result in some subpart W reporters having to manage multiple 
equipment leak survey programs within one facility, especially if the 
facility is located within a state with a different leak detection 
program, and this result is overly burdensome. In addition, the 
commenters stated that the equipment leak survey results will be 
internally inconsistent if they use different methods, and a facility's 
emissions could appear to increase one year simply because the number 
of sites subject to the NSPS subpart OOOOa increases, requiring the 
reporter to use the OGI method in the NSPS subpart OOOOa for an 
increased number of components. Instead, the reporters suggested, use 
of the calculation methodology based on equipment leak surveys, 
including the selection of monitoring method within 40 CFR 98.234(a), 
should be voluntary for all facilities not currently required to 
conduct leak surveys under subpart W.
---------------------------------------------------------------------------

    \13\ See section II.D.1 of this preamble for the EPA's decision 
on the final subpart W requirements for components not subject to 40 
CFR 60.5397a of the NSPS Subpart OOOOa from affected facilities in 
the Onshore Natural Gas Transmission Compression industry segment, 
and storage stations in gas service within the Underground Natural 
Gas Storage industry segment.
---------------------------------------------------------------------------

    In contrast, another commenter requested that the EPA require all 
subpart W reporters to detect leaks using direct equipment leak 
detection technologies such as OGI. The commenter stated that leak 
detection using OGI can produce more accurate data than current subpart 
W methods and that the EPA's approach is consistent with the EPA's 
stated goals to enhance the rigor and transparency of subpart W data. 
In addition, the commenter stated that applying OGI detection uniformly 
across subpart W sources will produce data that is readily comparable 
across facilities and will allow the EPA to assess the performance of 
facilities over time.
    Response: For facilities that have affected sources required to 
conduct fugitive emissions monitoring to comply with the NSPS subpart 
OOOOa well site or compressor station fugitive emissions standards, the 
EPA is finalizing as proposed that these components must meet the 
subpart W calculation methodology based on equipment leak survey 
requirements. In practice, this means reporters can meet these 
requirements by counting the actual number of components with fugitive 
emissions identified through implementation of the NSPS subpart OOOOa 
as leaks for purposes of subpart W. This requirement will achieve the 
EPA's stated goal of alignment with the NSPS subpart OOOOa and will 
assist in providing the EPA with a greater understanding of emission 
reductions.
    At this time, we are not requiring all subpart W facilities to 
perform a leak detection survey using direct equipment leak detection 
technologies such as OGI. Rather this action is focused on aligning the 
subpart W requirements, to the extent possible, with the NSPS subpart 
OOOOa fugitive emission requirements so that facilities may use the 
results of the NSPS subpart OOOOa-required

[[Page 86498]]

fugitive emissions monitoring surveys to fulfill subpart W 
requirements.
    The EPA does not agree that a subpart W requirement to use the 
results of a previously completed leak survey within the subpart W 
calculation methodology based on equipment leak surveys will result in 
an undue burden to these reporters. For components subject to the NSPS 
subpart OOOOa well site or compressor station fugitive emissions 
standards, there is little to no burden associated with using the 
number of components found to have fugitive emissions as the number of 
leaking components in the subpart W calculation methodology based on 
equipment leak surveys. The only additional piece of information these 
reporters need to calculate emissions is the amount of time each 
component was leaking, and this is a straightforward determination 
based on the dates of the equipment leak surveys. See section IV.B of 
this preamble for information and responses to comments related to the 
EPA's burden estimates for these amendments.

C. Summary of Final Amendments to Monitoring Methods

1. Summary of Final Amendments
    The EPA is finalizing the proposal to add OGI, as specified in the 
NSPS subpart OOOOa, to the list of monitoring methods in 40 CFR 
98.234(a). The addition of this specific OGI method to subpart W at 40 
CFR 98.234(a)(6) aligns the methods in the two rulemakings and allows 
subpart W facilities to directly use information derived from the 
implementation of the fugitive emissions monitoring conducted under the 
NSPS subpart OOOOa to calculate and report equipment leak emissions to 
the GHGRP.
    The EPA has made changes to the proposed subpart W amendments after 
consideration of public comment and/or to be consistent with the final 
revisions made to the corresponding proposed NSPS subpart OOOOa 
specifications. The proposed subpart W amendments cross-referenced the 
proposed 40 CFR 60.5397a(b) through (e) and (g) through (i), which 
included the requirements to: (1) Develop a corporate-wide fugitive 
emissions monitoring plan; (2) develop a site-specific monitoring plan; 
(3) observe each fugitive emissions component for fugitive emissions; 
(4) conduct monitoring surveys semiannually; and (5) adjust the 
frequency of monitoring surveys based on the percent of the fugitive 
emissions components detected to have fugitive emissions. For the 
reasons described below, the final amendments to subpart W for the OGI 
method cross-reference a portion of the NSPS subpart OOOOa requirements 
to develop the fugitive emissions monitoring plan and the NSPS subpart 
OOOOa requirements to observe each fugitive emissions component for 
fugitive emissions.
    The final NSPS subpart OOOOa requires an emissions monitoring plan 
that covers the affected sources within each company-defined area. This 
monitoring plan includes information about the survey frequency, 
monitoring method and instrument selected, repair procedures and 
timeframes, recordkeeping, and procedures for calibrating the 
monitoring instrument and verifying that it can detect fugitive 
emissions at the required levels.
    For the final subpart W amendments, the EPA evaluated the NSPS 
subpart OOOOa requirements for the monitoring plan along with the level 
of detail in the existing monitoring methods in 40 CFR 98.234(a). The 
EPA determined that information about the monitoring instrument 
selected and procedures for calibrating the monitoring instrument and 
verifying that it can detect fugitive emissions at the required levels 
is necessary to ensure the OGI monitoring is performed correctly. 
Therefore, the new OGI detection method in subpart W does include the 
NSPS subpart OOOOa requirement to develop a monitoring plan that 
describes the OGI instrument (40 CFR 60.5397a(c)(3)) and how the OGI 
survey will be conducted to ensure that fugitive emissions can be 
imaged effectively (40 CFR 60.5397a(c)(7)). The EPA determined that the 
NSPS subpart OOOOa survey frequency should not be cross-referenced in 
subpart W because cross-referencing these frequencies would override 
the current annual survey requirement in subpart W regardless of 
whether the use of the new monitoring methods is voluntary or 
mandatory. The EPA determined that the repair procedures and timeframes 
should not be cross-referenced because subpart W is part of a reporting 
program and does not require repair of detected leaks. The EPA also 
determined that the NSPS subpart OOOOa recordkeeping requirements 
should not be cross-referenced because they include provisions that are 
not applicable to greenhouse gas reporting, such as records related to 
repairs. Applicable recordkeeping requirements for all leak detection 
methods in subpart W are specified at 40 CFR 98.237.
    The final site-specific monitoring plan in the NSPS subpart OOOOa 
includes three items specific to the OGI method: (1) A sitemap; (2) a 
defined observation path for the operator that ensures that all 
fugitive emissions components are within sight of the path; and (3) a 
monitoring plan for difficult-to-monitor and unsafe-to-monitor fugitive 
emissions components. The EPA has reviewed these elements as well and 
determined not to cross-reference these three elements in subpart W. 
The observation path and the sitemap ensure that the OGI operator 
visualizes all of the components that must be surveyed, analogous to 
requirements in some rules to identify all of the equipment that must 
be monitored using Method 21 (e.g., 40 CFR 60.486a(e)(1) and 40 CFR 
63.162(c)). Subpart W does not include these identification 
requirements as part of the Method 21 requirements in 40 CFR 
98.234(a)(2), so it would be inconsistent to require the observation 
path as part of the new OGI method. However, while we are not 
finalizing the explicit requirement to define the observation path the 
operator will follow during their survey, we do note that 40 CFR part 
98, subpart A requires a written GHG monitoring plan for all facilities 
subject to the GHGRP (see 40 CFR 98.4(g)(5)). Defining an observation 
path is one item that could be included in the GHG monitoring plan to 
meet the requirement to describe ``procedures and methods that are used 
for quality assurance . . . of all . . . other instrumentation'' used 
to collect data to comply with the GHGRP (40 CFR 98.3(g)(5)(i)(C)).
    The EPA is finalizing the proposed requirement to observe each 
fugitive emissions component for fugitive emissions (40 CFR 
60.5397a(e)).\14\ The EPA considers surveying all fugitive emissions 
components (instead of just the current list of equipment in subpart W 
for a particular industry segment) to be an inherent part of the NSPS 
subpart OOOOa OGI method.
---------------------------------------------------------------------------

    \14\ See section II.D.1 of this preamble for details regarding 
the specific NSPS subpart OOOOa-defined fugitive emissions 
components that are not considered sources of ``equipment leaks'' in 
subpart W.
---------------------------------------------------------------------------

    The EPA is not cross-referencing the semi-annual (well sites) and 
quarterly (compressor stations) monitoring frequencies of the final 
NSPS subpart OOOOa. As noted above, cross-referencing these monitoring 
frequencies would override the current annual survey requirement in 
subpart W regardless of whether the use of the new monitoring methods 
is voluntary or mandatory. The EPA is instead clarifying that for 
reporters with components subject to the NSPS subpart OOOOa well site 
or compressor station fugitive emissions requirements and for which 
surveys are required or elected, the results from each equipment leak

[[Page 86499]]

survey must be used to calculate GHG emissions for subpart W. The EPA 
is further clarifying that it is not our intent to require reporters 
that are not subject to the NSPS subpart OOOOa well site or compressor 
station fugitive emissions requirements to conduct more than one 
equipment leak survey in a calendar year for purposes of GHGRP 
reporting, solely because they choose to use the OGI method. The EPA 
also notes that the proposed NSPS subpart OOOOa provisions for 
adjusting the frequency of equipment leak surveys based on the percent 
of the fugitive emissions components detected to have fugitive 
emissions were not included in the final NSPS subpart OOOOa and 
therefore are not cross-referenced in the final subpart W revisions.
    Finally, consistent with the final NSPS subpart OOOOa, the EPA is 
finalizing the use of Method 21 as an alternative monitoring method to 
OGI (as specified in the NSPS subpart OOOOa) at 40 CFR 98.234(a)(7). As 
the EPA noted in the preamble for this proposed revision to subpart W 
(81 FR 4989; Jan. 29, 2016), the NSPS subpart OOOOa proposal identified 
EPA Method 21 as a monitoring method that may also be used to conduct 
resurveys of repaired components when fugitive emissions are detected 
(80 FR 56612 (well sites) and 80 FR 56612 (compressor stations)), and 
the EPA requested comment on including in the final rule the use of 
Method 21 for fugitive emissions monitoring as well (80 FR 56638 (well 
sites) and 80 FR 56643 (compressor stations)). The EPA also made clear 
in the preamble to these proposed revisions to subpart W that, 
consistent with the goal of aligning the methods in the two rulemakings 
(subpart W and the NSPS subpart OOOOa), the EPA expected that the final 
amendments to subpart W for monitoring methods would reference the 
final version of the method(s) in the NSPS subpart OOOOa, including any 
changes made to the NSPS subpart OOOOa in response to comments on the 
proposed monitoring method(s) (81 FR 4991). Accordingly, the EPA is 
finalizing the use of Method 21 as an alternative monitoring method to 
OGI (as specified in the NSPS subpart OOOOa) at 40 CFR 98.234(a)(7).
    For reporters that elect to use Method 21 as specified in 40 CFR 
98.234(a)(7), either for components that are subject to the NSPS 
subpart OOOOa well site or compressor station fugitive emissions 
requirements or voluntarily, a leak is detected if an instrument 
reading of 500 ppmv or greater is measured. As explained in this 
section regarding the NSPS subpart OOOOa OGI monitoring method, we 
determined that the requirements in 40 CFR 60.5397a(b) are consistent 
with the requirements of subpart W regarding the development of an 
emissions monitoring plan; this monitoring plan is required to include 
verification that the procedures of Method 21 are followed consistent 
with the requirements in 40 CFR 60.5397a(c)(8). Also, as with the NSPS 
subpart OOOOa OGI method, the EPA is requiring in subpart W observation 
of each fugitive emissions component for fugitive emissions consistent 
with the requirements in 40 CFR 60.5397a(e); the EPA considers 
surveying all fugitive emissions components to be an inherent part of 
the NSPS subpart OOOOa Method 21 alternative to the OGI method and is 
consistent with requirements in subpart W to conduct a complete 
equipment leak survey.
    At this time, the EPA is not adding any other monitoring methods to 
subpart W. We will continue to evaluate equipment leak detection 
methods and technologies \15\ and may amend subpart W to allow the use 
of additional methods in the future.
---------------------------------------------------------------------------

    \15\ For example, the EPA has issued a voluntary request for 
information inviting all parties to provide information on 
innovative technologies to detect, measure, and mitigate emissions 
from the oil and gas industry. See 81 FR 46670 (July 18, 2016).
---------------------------------------------------------------------------

2. Summary of Comments and Responses
    Comment: Many commenters disagreed with the EPA's proposal to add 
only the OGI method as specified in the NSPS subpart OOOOa to 40 CFR 
98.234(a) of subpart W. They asserted that while OGI is an effective 
method for finding the majority of emissions more quickly than EPA 
Method 21, it is also a costly technology that cannot quantify 
emissions. The commenters stated that OGI has other limitations, 
especially in non-ideal weather conditions; one commenter also stated 
that use of the OGI camera requires a hot work permit in many 
instances.
    Response: Due to similar comments on the proposed NSPS subpart 
OOOOa, the final NSPS subpart OOOOa provides owners and operators of 
new, modified, or reconstructed well sites or compressor stations with 
the option of using EPA Method 21 with a repair threshold of 500 ppmv 
if they elect not to use the OGI method (40 CFR 60.5397a). As discussed 
in section II.C.1 of this preamble, the final amendments to subpart W 
provide for the use of EPA Method 21 where a leak is detected for 
purposes of subpart W if an instrument reading of 500 ppmv or greater 
is measured. This amendment to subpart W maintains the alignment with 
the NSPS subpart OOOOa well site and compressor station fugitive 
emissions monitoring requirements, so that reporters can directly use 
the NSPS subpart OOOOa monitoring results to count the number of leaks 
under subpart W.
    Comment: Many commenters stated that leak detection technology is a 
rapidly growing field and there are many alternative technologies and 
new technologies in development that may be more accurate and less 
costly than OGI. Some commenters noted that recent emphasis on 
CH4 emissions has caused vendors to focus on CH4 
leak detection. Therefore, according to the commenters, some of those 
technologies may be better options for the purpose of reporting 
emissions under subpart W than other leak detection programs. The 
commenters stated that the EPA's proposal to limit leak surveys to a 
prescriptive list of methods could limit development of these new 
technologies.
    Commenters provided a variety of suggestions for incorporation of 
new and emerging technologies into subpart W. Three commenters 
recommended that the EPA establish a clear process for industry, 
vendors, and/or the EPA to evaluate the efficacy and accuracy of 
alternative CH4 monitoring technologies and approve the use 
of those technologies. One of these commenters noted that any 
technology evaluation process should be straightforward and more 
streamlined than the years-long process needed to approve emissions 
control devices or continuous emissions monitoring systems. Another of 
these commenters suggested that the EPA model a technology evaluation 
process after the vendor testing program for flares and combustors, in 
which the EPA sets testing protocols and vendors demonstrate that they 
can meet specific criteria. A fourth commenter suggested that the EPA 
develop a pilot program to incentivize the accelerated development and 
deployment of advanced monitoring and detection technologies and to 
compare the effectiveness of these approaches to periodic, OGI-based 
surveys.
    Response: The EPA agrees with the commenters that emissions 
monitoring in the oil and gas sector is a field of emerging technology, 
and major advances are expected in the near future. We are seeing a 
rapidly growing push to develop and produce low-cost monitoring 
technologies to find fugitive CH4 emissions sooner and at 
lower levels than current technology allows, thus enhancing the ability 
of operators to detect fugitive emissions. The EPA agrees that 
continued development of these cost-effective technologies is

[[Page 86500]]

important. However, the EPA does not have enough information at this 
time to evaluate specific technologies to determine if they are 
equivalent to or better than the monitoring methods provided in and 
being added to 40 CFR 98.234(a). The EPA may evaluate new options as 
they become available and determine if they are equivalent to existing 
methods. For example, the final NSPS subpart OOOOa provides a process 
for the EPA to determine that a technology can be used as an 
``alternative means of emission limitation.'' \16\ As technologies are 
approved through this process, the EPA anticipates that it would 
contemporaneously incorporate these monitoring methods in subpart W to 
ensure continued alignment between the NSPS subpart OOOOa and subpart W 
through future notice and comment rulemaking.
---------------------------------------------------------------------------

    \16\ See 40 CFR 60.5398a titled ``What are the alternative means 
of emission limitations for GHG and volatile organic compounds from 
well completions, reciprocating compressors, the collection of 
fugitive emissions components at a well site and the collection of 
fugitive emissions components at a compressor station?''
---------------------------------------------------------------------------

    Comment: Multiple commenters addressed the proposed requirement to 
consider any fugitive emissions observed using OGI during the NSPS 
subpart OOOOa fugitive emissions monitoring as a leak for purposes of 
subpart W. Most of these commenters objected to the proposal and stated 
that the definition of a leak for subpart W should be 10,000 ppmv, 
regardless of the monitoring method used. These commenters asserted 
that setting the leak definition consistent with the current methods in 
subpart W would ensure that the new methods result in new information 
being collected and reported consistently within a facility and 
consistent with the equipment leak data already in the GHGRP. One 
commenter noted that defining a leak as emissions at a set 
concentration is much less subjective than defining a leak as any 
emissions observed with OGI, and setting the leak definition at 10,000 
ppmv rather than a lower concentration would allow operators to focus 
on finding (and fixing) large leaks instead of spending resources to 
identify many small leaks that do not contribute much to overall 
emissions. Another commenter noted that a leak definition of 10,000 
ppmv is consistent with the leaker emission factors currently provided 
in subpart W as well as the proposed new leaker emission factors.
    One commenter agreed with a subpart W leak being defined as any 
fugitive emissions observed using OGI during the NSPS subpart OOOOa 
fugitive emissions monitoring or emissions above 500 ppmv detected via 
EPA Method 21, but the commenter asserted that the leak definition for 
any new or emerging technologies used in a voluntary leak survey should 
be 5,000 ppmv. The commenter noted that these new technologies are 
likely to be more sensitive and detect emissions at lower 
concentrations than OGI, and companies that are employing more accurate 
instruments should not be ``penalized'' by having to report more leaks 
than if they used OGI.
    Response: Subpart W already includes OGI and EPA Method 21 with a 
leak definition of 10,000 ppmv for use by reporters currently required 
to conduct leak surveys for subpart W. The final amendments also 
provide for use of these methods by reporters electing to conduct an 
equipment leak survey voluntarily (i.e., for sources currently required 
to use the calculation methodology based on population counts that are 
not subject to the NSPS subpart OOOOa well site or compressor station 
fugitive emissions requirements). The EPA is adding the methods used 
for fugitive emissions monitoring in the NSPS subpart OOOOa to 40 CFR 
98.234(a), as approved monitoring methods for subpart W leak surveys. 
This addition facilitates alignment with the NSPS subpart OOOOa and 
will allow reporters to directly use the NSPS subpart OOOOa monitoring 
results to count the number of leaks under subpart W. Finally, as noted 
in section II.C.1 of this preamble, the EPA is not adding any other 
monitoring methods to subpart W at this time, so it is not necessary to 
consider a different leak definition for new or emerging technologies.
    The EPA disagrees that using a leak definition other than 10,000 
ppmv would undermine the quality of the data reported to the GHGRP. 
First, subpart W currently includes an OGI monitoring method in 40 CFR 
98.234(a)(1). While this monitoring method allows facilities to screen 
the observed leaks using Method 21, it does not require it, and we do 
not expect that many reporters actively use dual monitoring methods in 
their leak surveys to screen all OGI-detected leaks using Method 21.
    Second, we are also finalizing, consistent with the final NSPS 
subpart OOOOa rule, the ability to use Method 21 with a leak definition 
of 500 ppmv as an alternative to the OGI method. We agree with 
commenters that the average emissions rate of leaks identified using 
Method 21 with a leak definition of 500 ppmv would be less than the 
average emissions rate of leaks identified using Method 21 with a leak 
definition of 10,000 ppmv. To address this issue, we are also 
finalizing separate leaker factors that are appropriate for reporters 
using this alternative method (Method 21 with a leak definition of 500 
ppmv). As described in further detail in section II.E.1 of this 
preamble and in the document ``Greenhouse Gas Reporting Rule: Technical 
Support for Leak Detection Methodology Revisions and Confidentiality 
Determinations for Petroleum and Natural Gas Systems Final Rule'' in 
Docket ID No. EPA-HQ-OAR-2015-0764, these additional emission factors 
were developed from the same data set that was used to develop the 
original population emission factors and the proposed leaker 
factors.\17\ Therefore, this additional Method 21 monitoring method, 
which includes a different leak definition than the other Method 21-
based method already available in subpart W at 40 CFR 98.234(a)(2), has 
been specifically considered and new emission factors are provided in 
the final rule to ensure that this new monitoring method's leak 
definition will not undermine the quality of the emissions reported 
under subpart W.
---------------------------------------------------------------------------

    \17\ This data set was developed from monitoring conducted using 
Method 21 with a leak definition of 10,000 ppmv.
---------------------------------------------------------------------------

    If the EPA did not provide the ability for reporters to use the 
monitoring methods required by the NSPS subpart OOOOa within subpart W, 
reporters would not be able to use the NSPS subpart OOOOa monitoring 
results directly; instead, they would have to measure each occurrence 
of fugitive emissions individually to determine if it is a leak for 
purposes of subpart W, which would increase the burden for those 
reporters.

D. Summary of Final Amendments for Components To Be Surveyed

1. Summary of Final Amendments
    The EPA proposed to align the subpart W equipment components with 
the NSPS subpart OOOOa definition of ``fugitive emissions component,'' 
with certain exceptions.\18\ After careful consideration of comments, 
the EPA is finalizing that provision consistent with the final NSPS 
subpart OOOOa definition of ``fugitive emissions component'' with 
certain exceptions consistent with the proposal, as described in 
further detail in this section below. A ``fugitive emissions 
component'' is defined in 40 CFR 60.5430a of the final NSPS subpart

[[Page 86501]]

OOOOa to include any component that has the potential to emit fugitive 
emissions of CH4 or volatile organic compounds at a well site or 
compressor station, including but not limited to valves, connectors, 
pressure relief devices, open-ended lines, flanges, covers and closed 
vent systems not subject to 40 CFR 60.5411a, thief hatches or other 
openings on a controlled storage vessel not subject to 40 CFR 60.5395a, 
compressors, instruments, and meters. Devices that vent as part of 
normal operations, such as natural gas-driven pneumatic controllers or 
natural gas-driven pumps, are not fugitive emissions components, as the 
natural gas discharged from the device's vent is not considered a 
fugitive emission. Emissions originating from a location other than the 
vent are considered fugitive emissions.
---------------------------------------------------------------------------

    \18\ See 81 FR 4994 for a discussion of the differences between 
the proposed definition of ``fugitive emissions component'' and the 
proposed components subject to equipment leak reporting in subpart 
W.
---------------------------------------------------------------------------

    As noted in the preamble to the proposed subpart W amendments, some 
of the components listed in the NSPS subpart OOOOa definition of 
fugitive emissions component are already included as part of the 
subpart W equipment leaks calculation methodologies (either based on 
equipment leak surveys or on population counts), while other fugitive 
emissions components are specifically addressed in other calculation 
methodologies in subpart W. As part of developing the proposed 
amendments for subpart W, we compared the list of components in the 
NSPS subpart OOOOa proposed definition of fugitive emissions component 
with the current methodologies in subpart W to identify which fugitive 
emissions components were already covered by an existing requirement in 
subpart W and which fugitive emissions components would be specifically 
covered in subpart W when using the OGI method as specified in the 
proposed NSPS subpart OOOOa.
    Table 3 of this preamble provides a summary of the applicable 
subpart W calculation methodologies for components subject to the 
fugitive emissions standards in the final NSPS subpart OOOOa. The basis 
for excluding certain components that are subject to the fugitive 
emissions standards in the final NSPS subpart OOOOa from the final 
equipment leak survey requirements in 40 CFR 98.233(q) is discussed 
below.

 Table 3--Final Subpart W Calculation Methodology Requirements for Components Subject to the Fugitive Emissions
                                         Standards in NSPS Subpart OOOOa
----------------------------------------------------------------------------------------------------------------
                                       Applicable GHG emissions calculation methodology in subpart W by industry
                                         segment for components that are also subject to the fugitive emissions
                                          standards for well sites or compressor stations in the NSPS  subpart
  Type of component in definition of                                     OOOOaa
   fugitive emissions component and   --------------------------------------------------------------------------
  subject to the fugitive emissions     Onshore petroleum and
   standards in NSPS subpart OOOOa     natural gas production,  Underground natural gas    Onshore natural gas
                                        onshore  petroleum and   storage, LNG storage,         transmission
                                        natural gas  gathering   LNG import and  export        compression
                                             and boosting              equipment
----------------------------------------------------------------------------------------------------------------
Thief hatches or other openings on      40 CFR           40 CFR           40 CFR
 controlled storage vessels not         98.233(j).               98.233(q) (use factor    98.233(k).
 subject to 40 CFR 60.5395a.                                     for ``other''
                                                                 components in Tables W-
                                                                 4A, W-5A, and W-6A to
                                                                 subpart W) b.
Compressors, excluding emissions from   40 CFR           40 CFR           40 CFR
 vents that are part of normal          98.233(q) for blowdown   98.233(o) for blowdown   98.233(o) for blowdown
 operations (i.e., wet seal oil         valve leakage and        valve leakage and        valve leakage and
 degassing vents).                      isolation valve          isolation valve          isolation valve
                                        leakage (use factor      leakage from             leakage from
                                        for ``open-ended         centrifugal              centrifugal
                                        line'' in Table W-1E     compressors.             compressors
                                        to subpart W) b.         40 CFR           40 CFR
                                        40 CFR           98.233(p) for blowdown   98.233(p) for blowdown
                                        98.233(q) for all        valve leakage,           valve leakage,
                                        other leaks from the     isolation valve          isolation valve
                                        housing (use factor      leakage, and rod         leakage, and rod
                                        for ``other''            packing venting from     packing venting from
                                        components in Table W-   reciprocating            reciprocating
                                        1E to subpart W) b.      compressors.             compressors
                                        40 CFR           40 CFR           40 CFR
                                        98.233(p)(10) for rod    98.233(q) for all        98.233(q) for all
                                        packing venting from     other leaks from the     other leaks from the
                                        reciprocating            housing (use factor      housing (use factor
                                        compressors.             for ``other''            for ``other''
                                                                 components in Table W-   components in Tables W-
                                                                 4A, W-5A, and W-6A to    3A, to subpart W) b
                                                                 subpart W) b.
All other components.................   40 CFR           40 CFR           40 CFR
                                        98.233(q) (use factors   98.233(q) (use factors   98.233(q) (use factors
                                        for applicable           for applicable           for applicable
                                        component types in       component types in       component types in
                                        Table W-1E to subpart    Tables W-4A, W-5A, and   Table W-3A to subpart
                                        W) b.                    W-6A to subpart W) c.    W) c.
----------------------------------------------------------------------------------------------------------------
\a\ Onshore Natural Gas Processing and Natural Gas Distribution are not included in this table because we are
  not revising the calculation methodology and monitoring method for leak detection for these industry segments
  in this action. The current requirements are still applicable to components in these industry segments.
\b\ The leaker emission factors for ``other'' components are being finalized in this revision.
\c\ The leaker emission factors include both factors in the current rule and factors that are being finalized in
  this action, depending on the specific component and the monitoring method used to conduct the survey, as
  discussed in section II.E.1 of this preamble.

    At proposal, we determined that the subpart W calculation 
methodology for storage tanks in 40 CFR 98.233(j) already includes 
emissions from thief hatches or other openings on storage vessels in 
the Onshore Petroleum and Natural Gas Production and Onshore Petroleum 
and Natural Gas Gathering and Boosting industry segments. However, we 
requested comment on whether the agency should consider separate 
approaches for controlled storage tanks and uncontrolled storage tanks. 
The final definition of ``fugitive emissions component'' in the NSPS 
subpart OOOOa (40 CFR 60.5430a) includes only thief hatches or other 
openings on a controlled storage vessel; it does not specifically list 
openings on uncontrolled storage vessels. We reviewed the subpart W 
calculation methodology specifically for storage tanks with a vapor 
recovery system (40 CFR 98.233(j)(4)) and storage tanks with a flare 
(40 CFR 98.233(j)(5)). The procedure for determining emissions from a 
tank with a vapor recovery system instructs reporters to adjust the 
storage tank emissions downward by the magnitude of emissions recovered 
using

[[Page 86502]]

a vapor recovery system as determined by engineering estimate based on 
best available data (40 CFR 98.233(j)(4)(i)). The procedure for 
determining emissions from a tank with a flare references 40 CFR 
98.233(n), which instructs reporters to use engineering calculations 
based on process knowledge, company records, and best available data to 
determine the flow to the flare if the flare does not have a continuous 
flow measurement device. If a reporter sees fugitive emissions from a 
thief hatch or other opening on a controlled storage vessel during an 
equipment leak survey conducted using OGI, the reporter should consider 
that information as part of the ``best available data'' used to 
calculate emissions from that storage tank. Therefore, we have 
concluded that emissions from thief hatches or other openings on 
storage vessels in the Onshore Petroleum and Natural Gas Production and 
Onshore Petroleum and Natural Gas Gathering and Boosting industry 
segments are already included in the subpart W storage tank emission 
calculations in 40 CFR 98.233(j) and are finalizing, consistent with 
the proposal, that they are not to be considered when determining 
emissions from equipment leaks for purposes of subpart W.
    We are also finalizing as proposed the exclusion of thief hatches 
and other openings on transmission storage tanks from the equipment 
leak reporting requirements.\19\ We note that, for purposes of subpart 
W reporting, a leaking thief hatch or other opening is functionally a 
secondary vent, and thus subject to annual screening on an uncontrolled 
tank according to 40 CFR 98.233(k)(1). If screening shows vapors from 
the thief hatch or opening are continuous for 5 minutes, then a method 
in 40 CFR 98.233(k)(2) must be used to quantify the leak rate, and this 
amount must be combined with any other vent leak rates for reporting.
---------------------------------------------------------------------------

    \19\ The exceptions to equipment leak reporting requirements 
were included in Tables W-1E and W-3 through W-6 of the proposal. 
The final rule moves these exceptions to 40 CFR 98.232, to increase 
clarity and reduce confusion while achieving the same purpose and 
effect.
---------------------------------------------------------------------------

    We are also finalizing the proposed distinction between equipment 
leak emissions and compressor emissions. Specifically, for centrifugal 
compressors, emission sources include wet seal oil degassing vents (for 
centrifugal compressors with wet seals), blowdown valve leakage, and 
isolation valve leakage. For reciprocating compressors, emission 
sources include reciprocating compressor rod packing vents, blowdown 
valve leakage, and isolation valve leakage.
    For compressors in the Onshore Petroleum and Natural Gas Production 
and the Onshore Petroleum and Natural Gas Gathering and Boosting 
industry segments under subpart W, the compressor methodologies only 
cover emissions from centrifugal compressor wet seal oil degassing 
vents and from reciprocating compressor rod packing vents. Thus, the 
EPA is finalizing as proposed, for these industry segments, that 
blowdown valve leakage and isolation valve leakage are considered 
equipment leaks (i.e., open-ended lines), and finalizing as proposed 
that emissions from centrifugal compressor wet seal oil degassing vents 
and from reciprocating compressor rod packing vents are not considered 
equipment leaks when using the calculation methodology based on 
equipment leak surveys in 40 CFR 98.233(q).\20\
---------------------------------------------------------------------------

    \20\ 40 CFR 98.233(q) specifies which subsections in 40 CFR 
98.232 (i.e., which components) must follow the calculation 
methodology based on equipment leak surveys in 40 CFR 98.233(q), and 
40 CFR 98.232 subsections identify exceptions from the list of 
components for which equipment leak reporting is required.
---------------------------------------------------------------------------

    For the Onshore Natural Gas Transmission Compression, Underground 
Natural Gas Storage, LNG Storage, and LNG Import and Export Equipment 
segments, subpart W requires reporters to make ``as found'' or 
continuous measurements for compressor emission sources, so the 
reporters will have either direct measurement data or site-specific 
emission factors by which to calculate emissions from all of the 
compressor sources listed above (i.e., wet seal oil degassing vents for 
centrifugal compressors with wet seals, rod packing vents for 
reciprocating compressors, and blowdown valve leakage and isolation 
valve leakage for both centrifugal and reciprocating compressors). 
Therefore, we are finalizing as proposed to exclude these compressor 
emission sources from the requirements in the calculation methodology 
based on equipment leak surveys so that reporters do not double-count 
emissions from these sources in their GHGRP reports.
    Finally, as noted in section II.C.1 of this preamble, we are 
finalizing the proposed determination that for purposes of subpart W, 
all other fugitive emissions components as defined in the NSPS subpart 
OOOOa not specifically identified above (e.g., thief hatches or other 
openings on a controlled storage vessel, compressor sources with 
explicit calculation methodologies in subpart W) will be considered 
equipment components when conducting an equipment leak survey using the 
OGI method as specified in the NSPS subpart OOOOa or EPA Method 21 with 
a leak definition of 500 ppmv. In other words, we consider the 
provision requiring monitoring of fugitive emissions components as 
defined in the NSPS subpart OOOOa in 40 CFR 60.5397a(e) to be an 
inherent part of the NSPS subpart OOOOa OGI method and EPA Method 21 
with a leak definition of 500 ppmv. Therefore, if a reporter with 
components not subject to the NSPS subpart OOOOa well site or 
compressor station fugitive emission requirements elects to use the 
NSPS subpart OOOOa OGI method or EPA Method 21 with a leak definition 
of 500 ppmv for purposes of subpart W, they are also electing to survey 
these additional components.
2. Summary of Comments and Responses
    Comment: Several commenters stated that the NSPS subpart OOOOa 
proposed definition of ``fugitive emissions component'' is too 
expansive. Because it includes many more emission sources than a more 
traditional definition of equipment, the commenters asserted that it is 
inconsistent with current subpart W requirements. The commenters stated 
that aligning subpart W with the NSPS subpart OOOOa in this respect 
will complicate the question of which components must be monitored at 
subpart W facilities and will result in facilities having higher 
numbers of leaks than they would have if they used any other equipment 
leak detection method in subpart W. Some commenters stated that even 
for well sites and compressor station sites subject to the NSPS subpart 
OOOOa, component types considered to be equipment under subpart W 
should be consistent with a more traditional definition of equipment. 
Other commenters requested that equipment under subpart W only include 
component types for which the EPA can provide specific population 
factors and leaker emission factors.
    Response: As noted in section II.D.1 of this preamble, the final 
definition of ``fugitive emissions component'' in the NSPS subpart 
OOOOa (40 CFR 60.5430a) does not list as many explicit individual 
component types, as originally proposed. The EPA is finalizing, with 
the exceptions discussed in section II.D.1 of this preamble and 
consistent with the extent proposed, this alignment with the NSPS 
subpart OOOOa, so that reporters may directly use the NSPS subpart 
OOOOa monitoring results to count the number of leaks under subpart W. 
Reporters using the calculation methodology based on equipment leak 
surveys for

[[Page 86503]]

components not subject to the NSPS subpart OOOOa may choose which 
monitoring method to use. If a reporter chooses to use one of the 
monitoring methods listed in 40 CFR 98.234(a)(1) through (5), that 
reporter would use the current list of equipment components for the 
appropriate industry segment in 40 CFR 98.232 (e.g., the list of 
equipment at 40 CFR 98.232(e)(7) for the Onshore Natural Gas 
Transmission Compression industry segment). If a reporter chooses to 
use the OGI method as specified in the NSPS subpart OOOOa or EPA Method 
21 with a leak definition of 500 ppmv, the reporter would use both the 
current list and the newly added list of equipment components for the 
appropriate industry segment in 40 CFR 98.232, which in conjunction 
include the NSPS subpart OOOOa definition of ``fugitive emissions 
component'' in 40 CFR 60.5430a with the exceptions discussed in section 
II.D.1 of this preamble (e.g., the list of equipment at 40 CFR 
98.232(e)(7) and (8) for the Onshore Natural Gas Transmission 
Compression industry segment).

E. Summary of Final Amendments to Leaker Emission Factors and the 
Calculation Methodology Based on Equipment Leak Surveys

1. Summary of Final Amendments
    To quantify emissions from leaking equipment components, subpart W 
includes leaker emission factors for each component type in each 
industry segment currently required to use the calculation methodology 
based on equipment leak surveys. In contrast to the population emission 
factors, which are multiplied by the total facility component counts, 
leaker emission factors are multiplied by the actual number of leaks 
for each component type, as identified by the equipment leak survey. 
These amendments increase the component types that are required or may 
elect to use the calculation methodology based on equipment leak 
surveys, including most of the component types currently using the 
subpart W calculation methodology based on population counts.\21\ 
Therefore, new leaker emission factors are being added so that 
reporters can calculate their GHG emissions for these new component 
types.
---------------------------------------------------------------------------

    \21\ The NSPS subpart OOOOa fugitive emission requirements do 
not apply to fugitive emissions components in the Natural Gas 
Distribution industry segment.
---------------------------------------------------------------------------

    Specifically, the EPA proposed to add new sets of leaker emission 
factors to subpart W for: (1) The Onshore Petroleum and Natural Gas 
Production industry segment; (2) the Onshore Petroleum and Natural Gas 
Gathering and Boosting industry segment; (3) storage wellheads in gas 
service in the Underground Natural Gas Storage industry segment; (4) 
LNG storage components in gas service in the LNG Storage industry 
segment; and (5) LNG terminals components in gas service for the LNG 
Import and Export Equipment industry segment. For industry segments 
that already include a set of leaker emission factors, the EPA also 
proposed to expand that set of leaker emission factors to include 
certain additional components to better align with the definition of 
fugitive emissions components in the NSPS subpart OOOOa. See the 
document ``Greenhouse Gas Reporting Rule: Technical Support for Leak 
Detection Methodology Revisions and Confidentiality Determinations for 
Petroleum and Natural Gas Systems'' in Docket Item No. EPA-HQ-OAR-2015-
0764-0028, for more information on the development of the proposed 
leaker emission factors.
    We are finalizing the leaker emission factors for the Onshore 
Petroleum and Natural Gas Production and the Onshore Petroleum and 
Natural Gas Gathering and Boosting industry segments as proposed, with 
clarifications for flanges and connectors noted below. We are also 
finalizing the following leaker emission factors as proposed: (1) The 
leaker emission factors for ``other'' components in Tables W-3A, W-4A, 
W-5A, and W-6A to subpart W; (2) the leaker emission factors for 
storage wellhead equipment in gas service within Table W-4A to subpart 
W; and (3) the leaker emission factors for equipment in gas service for 
LNG storage components within Table W-5A to subpart W and for LNG 
terminal components within Table W-6A to subpart W. We are also 
finalizing the proposal to expand the existing leaker emission factor 
for meters to also include instruments in Tables W-3A and W-4A to 
subpart W for the Onshore Natural Gas Transmission Compression and 
Underground Natural Gas Storage industry segments, respectively. All 
but one of the proposed leaker factors for flanges in Tables W-3 
through W-6 to subpart W (Tables W-3A, W-4A, W-5A, and W-6A to subpart 
W in these final amendments) were the same as the leaker factors for 
connectors; the exception was for flanges in gas service associated 
with storage wellheads at Underground Natural Gas Storage facilities, 
which had a proposed leaker factor that differed from the proposed 
leaker factor for connectors in the same service. Flanges are a type of 
connector, which means the proposed flange factors that were identical 
to the existing connector factors were redundant. Therefore, we have 
not finalized the proposed separate factors for flanges where the 
factor was the same as the factor for connectors and are finalizing 
that flanges must use the final connector factor, meaning the effect of 
the final amendments is the same as the proposal. The separate factors 
for connectors and flanges for storage wellheads in gas service at 
Underground Natural Gas Storage facilities are finalized as proposed, 
but to clarify that the factor for connectors applies only to all types 
of connectors other than flanges, the component name has been changed 
from ``connector'' in the proposal to ``connector (other)'' in Table W-
4A of the final amendments. This change also makes the terminology in 
Table W-4A consistent with the terminology in Tables W-1A and W-1E, 
which also specify factors for flanges that differ from the factors for 
other types of connectors.
    We are not finalizing the proposed addition of pumps to the leaker 
factors in Table W-2 for the Onshore Natural Gas Processing industry 
segment. As described in section II.B.1 of this preamble, we are not 
taking final action on the Onshore Natural Gas Processing revisions at 
this time.
    In addition to finalizing nearly all of the proposed leaker 
factors, we are also finalizing an additional set of emission factors 
corresponding to the average emissions rates of components identified 
using Method 21 with a leak definition of 500 ppmv. The proposed leaker 
factors were developed based on Method 21 monitoring using a leak 
definition of 10,000 ppmv and were to be applied by all reporters 
regardless of the leak survey monitoring method used. As noted in 
section II.C of this preamble, the final NSPS subpart OOOOa includes an 
additional alternative that allows reporters to use Method 21 with a 
leak definition of 500 ppmv. On average, the emissions from a leak 
identified with a Method 21 reading above 500 ppmv are less than the 
emissions from a leak identified with a Method 21 reading of 10,000 
ppmv or higher. Consequently, the leaker factor (which is the average 
emissions rate) for leaks identified when using a leak definition of 
500 ppmv is smaller than the leaker factor for leaks identified when 
using a leak definition of 10,000 ppmv. Therefore, in order to use the 
NSPS subpart OOOOa survey results directly to calculate equipment leak 
emissions for subpart W when Method 21 with a leak definition of 500

[[Page 86504]]

ppmv is used, leaker factors were developed consistent with the average 
emissions rate of a ``leak'' defined as a measurement reading of 500 
ppmv or more using Method 21. We developed these new leaker factors 
using data from EPA's Protocol for Equipment Leak Emissions Estimates 
\22\ consistent with the data used to develop the proposed leaker 
factors for Onshore Petroleum and Natural Gas Production and the 
Onshore Petroleum and Natural Gas Gathering and Boosting industry 
segments. See the document ``Greenhouse Gas Reporting Rule: Technical 
Support for Leak Detection Methodology Revisions and Confidentiality 
Determinations for Petroleum and Natural Gas Systems Final Rule'' in 
Docket ID No. EPA-HQ-OAR-2015-0764, which provides more information on 
the development of the final leaker emission factors. The inclusion of 
leaker factors specific to Method 21 with a leak definition of 500 ppmv 
is consistent with our proposal to align subpart W calculation 
methodologies with the monitoring requirements in the NSPS subpart 
OOOOa.
---------------------------------------------------------------------------

    \22\ U.S. Environmental Protection Agency. Protocol for 
Equipment Leak Emissions Estimates. EPA-453/R-95-017. November 1995. 
Docket Item No. EPA-HQ-OAR-2009-0927-0043.
---------------------------------------------------------------------------

    We are also finalizing the proposed amendments to the time variable 
Tp,z in Equation W-30 to clarify the total time a surveyed 
component found leaking is assumed to be leaking and operational. The 
previous language for the definition of the time variable specifically 
considers a first leak survey and a last leak survey in the year but 
does not provide specific language with respect to the duration of any 
``intermediate'' survey conducted between the first and last survey. 
Therefore, the EPA proposed to amend the definition of the time 
variable to clarify how to determine the duration of a leak if more 
than two leak surveys are conducted in a year and to instruct reporters 
to sum the individual durations to determine the total time the 
component was leaking during the year.
    The EPA is finalizing this amendment as proposed. The amendments to 
the time variable Tp,z define each equipment leak survey as 
covering a unique, non-overlapping time period and we are clarifying 
our intent that a leak detected in the first or any intermediate survey 
is not considered to continue leaking past the date of that specific 
equipment leak survey. For the last survey conducted in the calendar 
year, the leak is assumed to continue until the end of the year. For 
example, if a reporter conducts three equipment leak surveys in a 
calendar year and a particular component is found to be leaking in the 
first and second surveys but not the third, the total leak duration is 
the sum of the time from January 1 to the date of the second survey. If 
a reporter conducts three equipment leak surveys in a calendar year and 
a particular component is found to be leaking in the first and last 
surveys but not the second, then the total leak duration is the sum of 
the time from January 1 to the date of the first survey and the time 
from the date of the second survey to December 31.
    See ``Response to Public Comments on Greenhouse Gas Reporting Rule: 
Leak Detection Methodology Revisions and Confidentiality Determinations 
for Petroleum and Natural Gas Systems'' in Docket ID No. EPA-HQ-OAR-
2015-0764 for all comments and the EPA's responses to comments on other 
aspects of the time variable Tp,z in Equation W-30.
    Finally, 40 CFR 98.233(q) includes a provision requiring reporters 
to conduct one equipment leak survey in a calendar year (which must 
include ``all component types'' subject to 40 CFR 98.233(q)) or 
multiple ``complete'' equipment leak surveys in a calendar year. In 
response to comments as part of the 2010 subpart W final rule, the EPA 
noted that subsequent equipment leak surveys should be ``conducted for 
an entire facility.'' \23\
---------------------------------------------------------------------------

    \23\ U.S. Environmental Protection Agency. Mandatory Greenhouse 
Gas Reporting Rule Subpart W--Petroleum and Natural Gas: EPA's 
Response to Public Comments. November 2010. Docket Item No. EPA-HQ-
OAR-2009-0923-3608. Response to Comment Number EPA-HQ-OAR-2009-0923-
1014-9, pp. 1281-1282.
---------------------------------------------------------------------------

    The EPA has reviewed how this interpretation could interact with 
these final amendments for components subject to the NSPS subpart OOOOa 
well site or compressor station fugitive emissions requirements and 
finds that additional clarification is necessary. For example, a 
facility in the Onshore Petroleum and Natural Gas Production industry 
segment or the Onshore Petroleum and Natural Gas Gathering and Boosting 
industry segment may have some components that are subject to the NSPS 
subpart OOOOa well site or compressor station fugitive emissions 
requirements and some components that are not. In such a case, multiple 
equipment leak surveys would be conducted for the components subject to 
the NSPS subpart OOOOa well site or compressor station fugitive 
emissions requirements, to fulfill the requirements of the NSPS subpart 
OOOOa for those components, that would be consistent with subpart W 
monitoring methods under these final revisions.
    However, under the current interpretation of a ``complete'' survey, 
it would appear that these reporters would either: (1) Be unable to use 
the NSPS subpart OOOOa fugitive emissions monitoring results as 
directed, because they did not survey all components at the facility; 
or (2) be forced to monitor all components at the facility on the same 
frequency as the components subject to the NSPS subpart OOOOa well site 
or compressor station fugitive emissions requirements to meet the 
subpart W requirement to use all additional leak surveys conducted in 
accordance with NSPS OOOOa. The first interpretation would render these 
final amendments useless, and the second interpretation would increase 
the burden beyond the EPA's intentions, and could also have unintended 
consequences for the components subject to the NSPS subpart OOOOa 
(e.g., a subpart W facility with some components subject to the NSPS 
subpart OOOOa well site fugitive emissions requirements and others 
subject to the NSPS subpart OOOOa compressor station fugitive emissions 
requirements could end up being required to monitor the fugitive 
emissions components at a well site four times a year instead of 
twice). Therefore, the EPA is clarifying in 40 CFR 98.233(q)(2)(i) that 
any monitoring conducted pursuant to and in compliance with the NSPS 
subpart OOOOa well site or compressor station fugitive emissions 
requirements constitutes a ``complete'' survey for purposes of subpart 
W and must be used for subpart W reporting. The EPA is further 
clarifying that, to meet the requirements of 40 CFR 98.233(q), at least 
one equipment leak survey must be conducted in a calendar year.
2. Summary of Comments and Responses
    Comment: Several commenters addressed the EPA's proposed leaker 
emission factors. Some of the commenters indicated that the EPA/Gas 
Research Institute (GRI) data set upon which the proposed factors are 
based is an older data set and asserted that it may not be 
representative of operating practices and procedures that have changed 
significantly over the past 20 years. In addition, the commenters 
stated that the EPA/GRI data set includes a limited population of 
measurements, so the proposed leaker emission factors may not account 
for operational variability on a regional or national level. Some 
commenters requested that the EPA consider newer studies, including 
those cited in

[[Page 86505]]

``Greenhouse Gas Reporting Rule: Technical Support for Leak Detection 
Methodology Revisions and Confidentiality Determinations for Petroleum 
and Natural Gas Systems'' (Docket Item No. EPA-HQ-OAR-2015-0764-0028) 
either instead of or in combination with the EPA/GRI data set.
    Several commenters urged the EPA to work with the regulated 
community to improve the default leaker emission factors in subpart W. 
One commenter noted that the proposed leaker emission factors may be a 
viable interim solution but recommended that the EPA analyze more 
robust data sets consisting of the combined results of all studies for 
each industry segment and evaluate whether the subpart W leaker 
emission factors should be revised.
    Response: As described in the preamble to the proposed rule and the 
document ``Greenhouse Gas Reporting Rule: Technical Support for Leak 
Detection Methodology Revisions and Confidentiality Determinations for 
Petroleum and Natural Gas Systems Final Rule'' (Docket ID No. EPA-HQ-
OAR-2015-0764), the EPA has determined that the EPA/GRI data set is 
appropriate to base leaker emission factors in these subpart W 
amendments. We note that the EPA/GRI data set provides sufficient data 
to develop leaker emission factors and that using this data set for the 
leaker emission factors provides consistency with the population 
emission factors used by reporters that do not conduct equipment leak 
surveys.
    The EPA agrees that there are numerous recent studies that could be 
used to either replace or supplement the EPA/GRI study data, and many 
of these are described in the technical support document. The EPA 
evaluated these other studies and found that the leaker emission 
factors determined from these data sets agreed reasonably well with the 
leaker emission factors developed from the EPA/GRI data set, suggesting 
that the EPA/GRI leaker emission factors are still valid. Commenters 
that supported a different basis for the leaker emission factors than 
the EPA/GRI data set did not provide specific information explaining 
why another study would be a better basis or address any of the 
specific considerations listed above, although the comments received 
suggest that stakeholders are interested in further involvement in the 
assessment of the available data. Therefore, for the reasons stated in 
the preamble to the proposed rule and the document ``Greenhouse Gas 
Reporting Rule: Technical Support for Leak Detection Methodology 
Revisions and Confidentiality Determinations for Petroleum and Natural 
Gas Systems Final Rule'' in Docket ID No. EPA-HQ-OAR-2015-0764, the EPA 
is finalizing the leaker emission factors as proposed.
    The EPA appreciates the commenters' interest in providing a 
thorough review of the available study data to develop an accurate set 
of leaker emission factors. The EPA is committed to working with 
stakeholders to ensure that GHGRP requirements and calculation methods 
are based upon the most robust data available. If the EPA determines 
that revisions to the subpart W leaker emission factors are appropriate 
in the future based on additional information, we anticipate that we 
will propose to amend the rule accordingly.
    Comment: Numerous commenters stated that reporters should be 
allowed to use site-specific leak quantification data if available, 
either directly for each individual leak (i.e., direct measurement 
data) or to develop their own leaker emission factors on a facility-
specific, company-specific, or product-specific basis. Most of these 
commenters supported the EPA's proposal to include default leaker 
emission factors, but stated that reporters should not be limited to 
using them if the facility has more accurate, site-specific 
information. Some commenters further noted that the site-specific data 
reported to the GHGRP could be used to improve the default leaker 
emission factors in the future. One commenter also requested that the 
EPA require quantification of any leak that a reporter elects not to 
repair.
    Response: The EPA did not propose and, after review and 
consideration of comments, is not finalizing provisions allowing 
reporters to use site-specific information to calculate equipment leak 
emissions for subpart W. While we agree that direct measurement has the 
potential to provide more accurate emissions data than using emission 
factors, we would need to develop criteria and guidelines for using 
direct measurement data consistently across subpart W reporters for 
calculating equipment leak emissions. Similarly, we agree that using 
site-specific emission factors can provide more accurate emissions data 
than using default emission factors, but a robust set of requirements 
would be needed for reporters to use when developing their own emission 
factors to ensure that those factors are as unbiased and representative 
as possible. In addition, if reporters are using direct measurement or 
their own emission factors, we would most likely need to amend the 
reporting requirements (e.g., to require reporters to provide site-
specific emission factors), and we would need to consider whether any 
other amendments would be needed to enable us to review and verify 
reported data. In either of these cases, we would provide the 
opportunity for the public to comment on those amended requirements 
before finalizing them within subpart W.

F. Summary of Final Amendments to Reporting Requirements

1. Summary of Final Amendments
    The EPA is finalizing largely as proposed the new reporting 
requirements for facilities conducting equipment leak surveys under 
subpart W. Reporters in the Onshore Petroleum and Natural Gas 
Production and the Onshore Petroleum and Natural Gas Gathering and 
Boosting industry segments, reporters with storage wellheads in the 
Underground Natural Gas Storage industry segment, and reporters with 
components in gas service in the LNG Storage and LNG Import and Export 
Equipment industry segments that begin using the calculation 
methodology based on equipment leak surveys must report the information 
currently listed in 40 CFR 98.236(q)(1) and (2), which includes the 
number of equipment leak surveys, component types, number of leaking 
components, average time the components were assumed to be leaking, and 
annual CO2 and CH4 emissions. Facilities that 
conduct surveys using the new monitoring methods in 40 CFR 98.234(a)(6) 
or (7) must also report the data elements in 40 CFR 98.236(q)(2) for 
additional component types specified in 40 CFR 98.232. Reporters may 
elect to report the data elements in 40 CFR 98.236(q)(2) for the 
additional component types if they conduct surveys using a monitoring 
method in 40 CFR 98.234(a)(1) through (5).
    The data elements in 40 CFR 98.236(q)(1) and (2) are already 
required to be reported by facilities conducting equipment leak surveys 
in the Onshore Natural Gas Transmission Compression, Underground 
Natural Gas Storage (storage stations), and LNG Storage and LNG Import 
and Export Equipment (components in LNG service) industry segments. 
However, facilities in those segments conducting equipment leak surveys 
using the new OGI method or Method 21, as specified in the NSPS subpart 
OOOOa (finalized in subpart W as 40 CFR 98.234(a)(6) or (7)), must 
begin reporting the data elements in 40 CFR 98.236(q)(2) for component 
types with the new leaker emission factors, including component types 
that are not currently subject to reporting. Facilities conducting 
equipment leak surveys using a monitoring method in 40 CFR

[[Page 86506]]

98.234(a)(1) through (5) may elect to begin reporting the data elements 
in 40 CFR 98.236(q)(2) for other components that are not currently 
subject to reporting.
    In addition, the EPA is finalizing as proposed three new reporting 
requirements for facilities conducting equipment leak surveys in all of 
the above segments as well as the Onshore Natural Gas Processing and 
Natural Gas Distribution segments. First, facilities in those segments 
will be required to report the monitoring method(s) in 40 CFR 98.234(a) 
used to conduct the survey(s). Second, facilities in the above segments 
except for Onshore Natural Gas Processing and Natural Gas Distribution 
will be required to indicate whether any of their component types are 
subject to the NSPS subpart OOOOa well site or compressor station 
fugitive emissions requirements. Finally, facilities with components 
for which the calculation methodology based on equipment leak surveys 
is optional (e.g., facilities in the Onshore Petroleum and Natural Gas 
Production segment) will be required to indicate whether they elected 
to use the calculation methodology based on equipment leak surveys for 
any of their component types at the facility.
    Additionally, in reviewing specific reporting requirements while 
responding to public comments, we recognized that the reporting 
requirements at 40 CFR 98.236(r)(3)(ii) were unclear, and could be 
misinterpreted with respect to how this reporting element relates to 
the calculated emissions. Therefore, we are revising 40 CFR 
98.236(r)(3)(ii) by adding the phrase ``. . . for which equipment leak 
emissions are calculated using the methodology in Sec.  98.233(r)'' to 
clarify our original intent that the major equipment counts reported 
under this requirement are specific to equipment for which emissions 
are calculated using the population count methodology.
2. Summary of Comments and Responses
    Comment: Two commenters addressed the proposed requirement in 40 
CFR 98.236(q)(1)(iii) to indicate whether any component types at a 
facility are subject to the NSPS subpart OOOOa. One commenter opposed 
the addition, stating that it is overly burdensome to require reporters 
to delineate reporting of emission sources subject to the NSPS subpart 
OOOOa, especially if this is intended to be a numeric response 
regarding the number of individual components subject to the NSPS 
subpart OOOOa. Another commenter asserted that it is not clear if the 
response to proposed 40 CFR 98.236(q)(1)(iii) is a single yes or no for 
each facility or if the EPA will be expecting a yes or no response for 
each component type.
    Response: In the final rule, the EPA has revised the proposed 
requirement in 40 CFR 98.236(q)(1)(iii) (indicate whether any component 
types are subject to the NSPS subpart OOOOa) to be clear that the EPA 
expects only one yes or no response for an entire facility. While the 
EPA understands that the number of leaking components and equipment 
leak emissions may increase as the number of components subject to the 
NSPS subpart OOOOa increases, this response will allow the EPA to 
provide transparent data related to changes in emissions for facilities 
with components subject to the NSPS subpart OOOOa well site or 
compressor station fugitive emissions requirements over time. This data 
element will also support verification that the appropriate GHGRP 
monitoring method was used by the facility.

III. Confidentiality Determinations

A. Summary of Final Confidentiality Determinations for New Subpart W 
Data Elements

    As noted in the proposed rule, we are applying the same approach as 
previously used for making confidentiality determinations for data 
elements reported under the GHGRP. In the ``Confidentiality 
Determinations for Data Required Under the Mandatory Greenhouse Gas 
Reporting Rule and Amendments to Special Rules Governing Certain 
Information Obtained Under the Clean Air Act'' (hereafter referred to 
as ``2011 Final CBI Rulemaking'') (76 FR 30782, May 26, 2011), the EPA 
grouped part 98 data elements for which EPA was determining 
confidentiality status through that rulemaking into 22 data categories 
(11 direct emitter data categories and 11 supplier data categories) 
with each of the 22 data categories containing data elements that are 
similar in type or characteristics. The EPA then made categorical 
confidentiality determinations for eight direct emitter data categories 
and eight supplier data categories and applied the categorical 
confidentiality determination to all data elements assigned to the 
category. Of these data categories with categorical determinations, the 
EPA determined that four direct emitter data categories are comprised 
of those data elements that meet the definition of ``emission data,'' 
as defined at 40 CFR 2.301(a), and are, therefore, not entitled to 
confidential treatment under section 114(c) of the CAA.\24\ The EPA 
determined that the other four direct emitter data categories and the 
eight supplier data categories do not meet the definition of ``emission 
data.'' For these data categories that are determined not to be 
emission data, the EPA determined categorically that data in three 
direct emitter data categories and five supplier data categories are 
eligible for confidential treatment as CBI, and that the data in one 
direct emitter data category and three supplier data categories are 
ineligible for confidential treatment as CBI. For two direct emitter 
data categories, ``Unit/Process `Static' Characteristics that Are Not 
Inputs to Emission Equations'' and ``Unit/Process Operating 
Characteristics that Are Not Inputs to Emission Equations,'' and three 
supplier data categories, ``GHGs Reported,'' ``Production/Throughput 
Quantities and Composition,'' and ``Unit/Process Operating 
Characteristics,'' the EPA determined in the 2011 Final CBI Rulemaking 
that the data elements assigned to those categories are not emission 
data, but the EPA did not make categorical CBI determinations for them. 
Rather, the EPA made CBI determinations for each individual data 
element included in those categories on a case-by-case basis taking 
into consideration the criteria in 40 CFR 2.208. The EPA did not make a 
final confidentiality determination for data elements assigned to the 
inputs to emission equation data category (a direct emitter data 
category) in the 2011 Final CBI Rulemaking. However, the EPA has since 
proposed and finalized an approach for addressing disclosure concerns 
associated with inputs to emissions equations.\25\
---------------------------------------------------------------------------

    \24\ Direct emitter data categories that meet the definition of 
``emission data'' in 40 CFR 2.301(a) are ``Facility and Unit 
Identifier Information,'' ``Emissions,'' ``Calculation Methodology 
and Methodological Tier,'' and ``Data Elements Reported for Periods 
of Missing Data that are not Inputs to Emission Equations.''
    \25\ Revisions to Reporting and Recordkeeping Requirements, and 
Confidentiality Determinations Under the Greenhouse Gas Reporting 
Program; Final Rule. (79 FR 63750, October 24, 2014).
---------------------------------------------------------------------------

    In the proposed rule, we assigned the nine proposed new or 
substantially revised data elements to the appropriate direct emitter 
data categories created in the 2011 Final CBI Rulemaking based on the 
type and characteristics of each data element. For the seven data 
elements the EPA assigned to a direct emitter category with a 
categorical determination, the EPA proposed that the categorical 
determination for the category be applied to the proposed new or 
substantially revised data elements,

[[Page 86507]]

as shown in Table 4 of this preamble. For the two data elements 
assigned to the ``Unit/Process Operating Characteristics that Are Not 
Inputs to Emission Equations,'' we proposed confidentiality 
determinations on a case-by-case basis taking into consideration the 
criteria in 40 CFR 2.208, consistent with the approach used for data 
elements previously assigned to these two data categories, as shown in 
Table 5 of this preamble. Refer to the preamble to the proposed rule 
(81 FR 4987; January 29, 2016) for additional information regarding the 
proposed confidentiality determinations.
    With consideration of the information provided by commenters, the 
EPA is finalizing the confidentiality determinations as proposed. 
Specifically, the EPA is finalizing the proposed determination for each 
of the nine new or substantially revised data elements to be designated 
as ``emission data'' or ``not CBI.''

  Table 4--Final Data Category Assignments and Confidentiality Determinations for New Data Elements Assigned to
                                   Categories With Categorical Determinations
----------------------------------------------------------------------------------------------------------------
                                                                                                Categorical
                                                                      Final category         determination (as
              Citation                       Data element               assignment         established in 2011)
                                                                                                   \26\
----------------------------------------------------------------------------------------------------------------
Sec.   98.236(q)(1)(i).............  The number of complete       Test and Calibration    Not Emission Data and
                                      equipment leak surveys       Methods.                Not CBI.
                                      performed during the
                                      calendar year.
Sec.   98.236(q)(1)(iii)...........  Whether any component types  Facility and Unit       Emission Data.
                                      were subject to 40 CFR       Identifier
                                      part 60, subpart OOOOa.      Information.
Sec.   98.236(q)(1)(iv)............  Whether you elected to       Facility and Unit       Emission Data.
                                      comply with Sec.             Identifier
                                      98.233(q) per Sec.           Information.
                                      98.233(q)(1)(iii).
Sec.   98.236(q)(1)(v).............  Each type of method          Test and Calibration    Not Emission Data and
                                      described in Sec.            Methods.                Not CBI.
                                      98.234(a) that was used to
                                      conduct leak surveys.
Sec.   98.236(q)(2)(i).............  For each component type      Facility and Unit       Emission Data.
                                      that is located at your      Identifier
                                      facility, component type.    Information.
Sec.   98.236(q)(2)(iv)............  For each component type      Emissions.............  Emission Data.
                                      that is located at your
                                      facility, annual CO2
                                      emissions, in metric tons
                                      CO2.
Sec.   98.236(q)(2)(v).............  For each component type      Emissions.............  Emission Data.
                                      that is located at your
                                      facility, annual CH4
                                      emissions, in metric tons
                                      CH4.
----------------------------------------------------------------------------------------------------------------

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

    \26\ The categorical confidentiality determinations for the data 
categories listed in this table were finalized on May 26, 2011 (see 
76 FR 30782).

 Table 5--Final Confidentiality for Data Elements Assigned to the ``Unit/Process Operating Characteristics That
                              Are Not Inputs to Emission Equations'' Data Category
----------------------------------------------------------------------------------------------------------------
                                                                        Final confidentiality determination and
                Citation                          Data element                         rationale
----------------------------------------------------------------------------------------------------------------
Sec.   98.236(q)(2)(ii).................  For each component type      Not Emission Data (Categorical
                                           that is located at your      Determination as Established in 2011).
                                           facility, total number of   Not CBI. The term ``equipment leaks''
                                           the surveyed component       refers to those emissions which could
                                           type that were identified    not reasonably pass through a stack,
                                           as leaking in the calendar   chimney, vent, or other functionally-
                                           year (``xp'' in Equation W-  equivalent opening. Leaking components
                                           30).                         at a facility may have a correlation to
                                                                        the level of maintenance at a facility.
                                                                        However, there is no direct correlation
                                                                        between the level of maintenance and
                                                                        process efficiency, i.e., a higher
                                                                        number of leaks in one facility do not
                                                                        indicate that the processes have been
                                                                        running longer or more frequently than
                                                                        those processes at another facility that
                                                                        has a lower number of leaks.
                                                                        Furthermore, Department of
                                                                        Transportation (DOT) regulations require
                                                                        natural gas distribution companies and
                                                                        transmission pipeline companies to
                                                                        conduct periodic leak detection and fix
                                                                        any leaking equipment. The number of
                                                                        leaks detected and fixed is reported to
                                                                        the DOT and is publicly available.
                                                                        Finally, 40 CFR part 60, subpart OOOOa
                                                                        requires reporting for each component
                                                                        with visible emissions at affected well
                                                                        sites and compressor station sites. The
                                                                        EPA is finalizing that this data element
                                                                        is not confidential; and that it will be
                                                                        considered ``not CBI.''
Sec.   98.236(q)(2)(iii)................  For each component type      Not Emission Data (Categorical
                                           that is located at your      Determination as Established in 2011).
                                           facility, average time the  Not CBI. This data element will provide
                                           surveyed components are      information on the amount of time
                                           assumed to be leaking and    operational components were found to be
                                           operational, in hours        leaking. This information provides
                                           (average of ``Tp,z'' from    little insight into maintenance
                                           Equation W-30).              practices at a facility because it does
                                                                        not identify the cause of the leaks or
                                                                        the nature and cost of repairs.
                                                                        Therefore, this information would not be
                                                                        likely to cause substantial competitive
                                                                        harm to reporters. For this reason, we
                                                                        are finalizing the average time
                                                                        operational components were found
                                                                        leaking be designated as ``not CBI.''
----------------------------------------------------------------------------------------------------------------

B. Summary of Comments and Responses

    This section summarizes the major comments and responses related to 
the proposed categorical assignments and confidentiality 
determinations. See ``Response to Public Comments on Greenhouse Gas 
Reporting Rule: Leak Detection Methodology Revisions and 
Confidentiality Determinations for Petroleum and Natural Gas Systems'' 
in Docket ID No. EPA-HQ-OAR-2015-

[[Page 86508]]

0764 for a complete listing of all comments and responses. See the 
memorandum ``Final Data Category Assignments and Confidentiality 
Determinations for Data Elements in the `Greenhouse Gas Reporting Rule: 
Leak Detection Methodology Revisions and Confidentiality Determinations 
for Petroleum and Natural Gas Systems; Final Rule' '' in Docket ID No. 
EPA-HQ-OAR-2015-0764 for a complete listing of final data category 
assignments and confidentiality determinations.
    Comment: One commenter stated that the EPA should reconsider the 
proposed determination of ``not CBI'' for the number of components 
identified as leaking in a calendar year and the average time the 
surveyed components are assumed to be leaking. The commenter asserted 
that designating this information as CBI would encourage more reporters 
to voluntarily conduct leak surveys. The commenter also noted that this 
information is publically available for some sources and suggested that 
the rule provide an exception from classification as CBI for components 
subject to State programs or NSPS that already require public 
disclosure. Another commenter requested that the EPA protect the 
community's right to know and not allow companies to keep the public 
from finding out about leaks from hydrocarbon facilities.
    Response: While it is possible that the requirement to report the 
number of leaking components and the average time those components were 
leaking could discourage some reporters from conducting voluntary 
equipment leak surveys, this is not a valid reason to allow reporters 
to claim these data elements as confidential. As noted in section III.C 
of the preamble to the proposed rule, the EPA proposed that disclosure 
of these data elements is unlikely to cause substantial harm to a 
business's competitive position, and the commenter did not indicate 
that the EPA's determination was incorrect. Therefore, the EPA is 
finalizing the confidentiality determinations for these data elements 
as ``not CBI.''

IV. Impacts of the Final Amendments to Subpart W

A. Impacts of the Final Amendments

    The final amendments to subpart W revise costs associated with the 
use of the monitoring methods and the calculation methodology based on 
equipment leak surveys for reporters in the following industry 
segments: Onshore Petroleum and Natural Gas Production, Onshore 
Petroleum and Natural Gas Gathering and Boosting, Onshore Natural Gas 
Transmission Compression, Underground Natural Gas Storage, LNG Storage, 
and LNG Import and Export Equipment. Reporters in these industry 
segments are required to use the results of fugitive emissions 
component monitoring required for well sites and compressor stations 
under the NSPS subpart OOOOa. Reporters in these segments with 
components not subject to the NSPS subpart OOOOa well site or 
compressor station fugitive emissions requirements and for which they 
are currently required to use the calculation methodology based on 
population counts under subpart W may voluntarily use the calculation 
methodology based on equipment leak surveys for those components if the 
equipment leak survey is conducted following a monitoring method listed 
in subpart W.
    The EPA received comments from one commenter regarding the specific 
impacts of the proposed amendments. After evaluating these comments and 
reviewing other changes from proposal, the EPA revised the impacts 
assessment from proposal. The EPA estimates that the costs of the final 
amendments to subpart W are slightly more burdensome than we estimated 
at proposal, but they do not significantly change the overall burden to 
subpart W reporters. The EPA estimated that the additional costs to 
subpart W reporters in the Onshore Petroleum and Natural Gas Production 
and the Onshore Petroleum and Natural Gas Gathering and Boosting 
industry segments to transition their existing equipment leak 
recordkeeping, calculating, and reporting systems to use the 
calculation methodology based on equipment leak surveys and to 
determine which components are subject to the NSPS subpart OOOOa well 
site or compressor station fugitive emissions requirements and which 
are not, will be approximately $110,000 per year, or about $410 per 
reporter. The EPA estimated that the additional costs for subpart W 
reporters in the other industry segments (i.e., Onshore Natural Gas 
Transmission Compression, Underground Natural Gas Storage, Liquefied 
Natural Gas (LNG) Storage, and LNG Import and Export Equipment) to add 
a few new emission factors to their existing systems (rather than 
transitioning their recordkeeping, calculating, and reporting systems) 
and to determine which components are covered by the NSPS subpart OOOOa 
well site or compressor station fugitive emissions requirements and 
which are not, will be approximately $20,000 per year or about $110 per 
reporter. The total costs are approximately $128,400 per year for all 
reporters, or about $286 per reporter. See the memorandum, ``Assessment 
of Impacts of the Final Leak Detection Methodology Revisions and 
Confidentiality Determinations for Petroleum and Natural Gas Systems'' 
in Docket ID No. EPA-HQ-OAR-2015-0764 for additional information.

B. Summary of Comments and Responses

    This section summarizes the major comments and responses related to 
the impacts of the proposed amendments to subpart W of part 98. We note 
that while several commenters asserted that the proposed rule would be 
burdensome for many operators and suggested revisions to the rule 
requirements that would reduce the burden, only one commenter provided 
comments on the EPA's impacts estimate and supporting statement, and 
that commenter's major comments are summarized in this section. See 
``Response to Public Comments on Greenhouse Gas Reporting Rule: Leak 
Detection Methodology Revisions and Confidentiality Determinations for 
Petroleum and Natural Gas Systems'' in Docket ID No. EPA-HQ-OAR-2015-
0764 for a complete listing of all comments and responses.
    Comment: One commenter stated that the EPA's estimate of two hours 
of labor and $198 per reporter significantly underestimates and 
misrepresents the amount of time and effort that goes into implementing 
a new rule. The commenter provided a cost estimate that assumes more 
labor hours than in the EPA's memorandum ``Assessment of Impacts of the 
Leak Detection Methodology Revisions and Confidentiality Determinations 
for Petroleum and Natural Gas Systems'' (Docket Item No. EPA-HQ-OAR-
2015-0764-0025). The commenter noted that as more sites become subject 
to the NSPS subpart OOOOa at a facility, the costs of managing the data 
and processing it into a usable format for the GHGRP will increase each 
year for that reporter. The commenter also noted that the EPA was 
incorrect in assuming that there would be no costs for facilities in 
the Onshore Natural Gas Processing segment.
    Response: The EPA has evaluated the comments and has made changes 
to the estimate of burden in the supporting statement. The following 
paragraphs address each of the points in the commenter's detailed cost 
estimate included with the comment letter and explain how the points 
are being addressed in the final burden and cost estimate.

[[Page 86509]]

    The commenter suggested adding burden of two hours in the first 
year related to the initial monitoring plan development and burden of 
0.5 hours in subsequent years related to yearly monitoring plan 
revisions. The EPA did not include costs at proposal related to the 
monitoring plan because the subpart W amendments do not require the 
development of a separate monitoring plan. Instead, the subpart W 
amendments cross reference the monitoring plan that is already being 
developed according to the NSPS subpart OOOOa. The EPA recognizes that 
reporters that are not subject to the NSPS subpart OOOOa would not 
already be required to develop a monitoring plan under the NSPS subpart 
OOOOa; however, reporters that elect to use one of the new leak 
detection methods are also electing to incur the burden of developing a 
monitoring plan. Therefore, there is no monitoring plan burden 
associated with the subpart W amendments and the final burden and cost 
estimate has not changed from proposal as a result of this comment.
    The commenter suggested changing the number of hours to revise the 
reporting system to five hours and to allow one hour for maintenance in 
each subsequent year. At proposal, the EPA estimated that revising the 
reporting system to use the calculation methodology based on equipment 
leak surveys would require two hours. The commenter did not provide the 
basis for their estimate of five hours to update the data management 
system. The overall reporting costs for compliance already include a 
burden of ten hours per year and the EPA disagrees that updating the 
data management system would encompass half of that allotment because 
EPA anticipates that reporters would only need to add a few emission 
factors for leaking components to their existing system, rather than 
something more time-intensive such as creating a new data management 
system. We reviewed the revisions expected to be needed in the data 
management system. While we maintain that two hours are sufficient to 
implement the calculation methodology based on equipment leak surveys 
into a reporter's existing system, we recognize that this process will 
also require quality assurance reviews and testing to ensure the data 
are stored properly and the calculations are performed correctly. 
Therefore, we increased the number of hours estimated to revise the 
reporting system from two hours to 3.5 hours to account for these 
additional quality reviews of the data management system. However, the 
EPA has made no changes to burden associated with maintenance of the 
revised reporting system because the EPA asserts that any reporting 
system maintenance related to subpart W is already reflected in the 
twenty hours per year allotted to each subpart W reporter for 
recordkeeping and reporting activities.
    The commenter suggested that the EPA adjust the proposed burden and 
cost estimate by adding the following activities and burden estimates: 
(1) Time for staff to process the survey data resulting from the 
calculation methodology based on equipment leak surveys and to enter it 
into the GHGRP system at a burden of three hours per year; (2) time for 
staff training at a burden of two hours for initial training and one 
hour per year in subsequent years; and (3) time for staff to review the 
data for quality assurance, follow missing data requirements, report 
data to the EPA, and retain all records at a burden of four total hours 
per year.
    At proposal, the EPA did not include burden related to these 
activities because they are covered by the twenty hours per year 
already accounted for in the overall subpart W reporter burden for 
recordkeeping and reporting activities. Therefore, the final burden and 
cost estimate has not changed from proposal as a result of these 
comments.
    However, at proposal, the EPA did not account for the time 
associated with determining which components in the reporting system 
are covered by the NSPS subpart OOOOa well site or compressor station 
fugitive emissions requirements and which are not. As a result, the EPA 
has added 0.5 hours per reporter in the first year that the reporter 
has an affected collection of fugitive emissions components subject to 
the NSPS subpart OOOOa well site or compressor station fugitive 
emissions requirements and 0.1 hours per reporter in subsequent years.
    Finally, for the reasons described in section II.B.2 of this 
preamble, the final rule language specifies that the requirement to use 
the NSPS subpart OOOOa results as part of the calculation methodology 
based on equipment leak surveys only applies to components subject to 
the NSPS subpart OOOOa well site or compressor station fugitive 
emissions requirements. The subpart W equipment leak survey 
requirements for facilities in the Onshore Natural Gas Processing 
segment do not change as a result of these amendments. Therefore, the 
EPA is not including any burden estimate for Onshore Natural Gas 
Processing reporters (i.e., the revisions to the burden estimate 
described in this response do not apply to the Onshore Natural Gas 
Processing segment).
    Overall, the burden and cost estimate has been revised as discussed 
above from 502 hours and $50,000 per year at proposal to approximately 
1,295 hours and $128,400 per year for all reporters.

V. Statutory and Executive Order Reviews

    Additional information about these statutes and Executive Orders 
can be found at http://www2.epa.gov/laws-and-executive orders.

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

    This action is not a significant regulatory action and was 
therefore not submitted to the Office of Management and Budget (OMB) 
for review.

B. Paperwork Reduction Act (PRA)

    The information collection activities in this rule have been 
submitted for approval to the OMB under the PRA. The Information 
Collection Request (ICR) document that the EPA prepared has been 
assigned EPA ICR number 2300.19. You can find a copy of the ICR in the 
docket for this rule, and it is briefly summarized here. The 
information collection requirements are not enforceable until OMB 
approves them.
    This action increases burden for industry segments that conduct 
equipment leak surveys. These revisions are expected to increase 
respondent burden for subpart W reporters that become subject to the 
NSPS subpart OOOOa well site or compressor station fugitive 
requirements. To accommodate the new methods and emission factors added 
by these final amendments, the EPA expects that each affected subpart W 
reporter will either revise their reporter-specific calculation 
mechanism (i.e., calculation spreadsheet, recordkeeping database, etc.) 
or add a few new emission factors to the reporter-specific calculation 
mechanism, when and if the reporter becomes subject to the NSPS subpart 
OOOOa well site or compressor station fugitive requirements. The 
recordkeeping and reporting requirements are being finalized as 
proposed. Impacts associated with the final revisions to the 
recordkeeping and reporting requirements are detailed in the memorandum 
``Assessment of Impacts of the Final Leak Detection Methodology 
Revisions and Confidentiality Determinations for Petroleum and Natural 
Gas Systems''

[[Page 86510]]

(see Docket ID No. EPA-HQ-OAR-2015-0764).
    Data collection provides a critical tool for communities to 
identify nearby sources of GHGs and provides information to state and 
local governments. The data can be used to complement atmospheric GHG 
studies and inform updates to emission inventories such as the 
Inventory of U.S. Greenhouse Gas Emissions and Sinks (Inventory). 
Various activity data are collected that can be used to improve 
understanding of the occurrence of emissions from a variety of sources.
    Data collected must be made available to the public unless the data 
qualify for CBI treatment under the CAA and EPA regulations. All data 
determined by the EPA to be CBI are safeguarded in accordance with 
regulations in 40 CFR chapter 1, part 2, subpart B.
    Respondents/affected entities: The respondents in this information 
collection include owners and operators of petroleum and natural gas 
systems facilities that report their GHG emissions from equipment leaks 
to the EPA to comply with subpart W.
    Respondent's obligation to respond: The respondent's obligation to 
respond is mandatory under the authority provided in CAA section 114.
    Estimated number of respondents: Approximately 899 respondents per 
year.
    Frequency of response: Annual.
    Total estimated burden: 1,295 hours (per year). Burden is defined 
at 5 CFR 1320.3(b).
    Total estimated cost: $128,400 (per year), includes $0 annualized 
capital or operation and maintenance costs.
    An agency may not conduct or sponsor, and a person is not required 
to respond to, a collection of information unless it displays a 
currently valid OMB control number. The OMB control numbers for the 
EPA's regulations in 40 CFR are listed in 40 CFR part 9. When OMB 
approves this ICR, the EPA will announce that approval in the Federal 
Register and publish a technical amendment to 40 CFR part 9 to display 
the OMB control number for the approved information collection 
activities contained in this final rule.

C. Regulatory Flexibility Act (RFA)

    I certify that this action will not have a significant economic 
impact on a substantial number of small entities under the RFA. The 
small entities directly regulated by this final rule include small 
businesses in the petroleum and natural gas industry. The EPA has 
determined that some small businesses will be affected because their 
production processes emit GHGs exceeding the reporting threshold. This 
action includes amendments that may result in a small burden increase 
on some subpart W reporters, but the EPA has determined that the 
increased cost of less than $286 per reporter is not a significant 
impact. Details of this analysis are presented in ``Assessment of 
Impacts of the Final Leak Detection Methodology Revisions and 
Confidentiality Determinations for Petroleum and Natural Gas Systems'' 
in Docket ID No. EPA-HQ-OAR-2015-0764.

D. Unfunded Mandates Reform Act (UMRA)

    This action does not contain an unfunded mandate of $100 million or 
more as described in UMRA, 2 U.S.C. 1531-1538, and does not 
significantly or uniquely affect small governments. As shown in 
sections IV.A and V.B of this preamble, the annual cost of this action 
is $128,400, which is well under $100 million per year.

E. Executive Order 13132: Federalism

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

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

    This action has tribal implications. However, it will neither 
impose substantial direct compliance costs on federally recognized 
tribal governments, nor preempt tribal law. This regulation will apply 
directly to petroleum and natural gas facilities that emit GHGs. 
Although few facilities that will be subject to the rule are likely to 
be owned by tribal governments, the EPA sought opportunities to provide 
information to tribal governments and representatives during the 
development of the proposed and final subpart W that was promulgated on 
November 30, 2010 (75 FR 74458).
    The EPA consulted with tribal officials under the EPA Policy on 
Consultation and Coordination with Indian Tribes early in the process 
of developing this regulation to permit them to have meaningful and 
timely input into its development. A summary of that consultation is 
provided in section IV.F of the preamble to the re-proposal of subpart 
W published on April 12, 2010 (75 FR 18608), and section IV.F of the 
preamble to the subpart W 2010 final rule published on November 30, 
2010 (75 FR 74458).

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

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

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

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

I. National Technology Transfer and Advancement Act (NTTAA)

    This rulemaking does not involve technical standards.

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

    The EPA believes that this action is not subject to Executive Order 
12898 (59 FR 7629, February 16, 1994) because it does not establish an 
environmental health or safety standard. Instead, this rule addresses 
information collection and reporting and verification procedures.

K. Congressional Review Act (CRA)

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

List of Subjects in 40 CFR Part 98

    Environmental protection, Administrative practice and procedure, 
Greenhouse gases, Reporting and recordkeeping requirements.

    Dated: November 10, 2016.
Gina McCarthy,
Administrator.

    For the reasons stated in the preamble, title 40, chapter I, of the 
Code of Federal Regulations is amended as follows:

[[Page 86511]]

PART 98--MANDATORY GREENHOUSE GAS REPORTING

0
1. The authority citation for part 98 continues to read as follows:

    Authority:  42 U.S.C. 7401-7671q.

Subpart W--Petroleum and Natural Gas Systems

0
2. Section 98.232 is amended by:
0
a. Revising paragraph (c)(21);
0
b. Adding paragraph (e)(8);
0
c. Revising paragraph (f)(5);
0
d. Adding paragraphs (f)(6) through (8);
0
e. Revising paragraphs (g)(3) and (4);
0
f. Adding paragraphs (g)(5) through (7);
0
g. Revising paragraphs (h)(4) and (5);
0
h. Adding paragraphs (h)(6) through (8); and
0
i. Revising paragraph (j)(10).
    The revisions and additions read as follows:


Sec.  98.232  GHGs to report.

* * * * *
    (c) * * *
    (21) Equipment leaks from valves, connectors, open ended lines, 
pressure relief valves, pumps, flanges, and other components (such as 
instruments, loading arms, stuffing boxes, compressor seals, dump lever 
arms, and breather caps, but does not include components listed in 
paragraph (c)(11) or (19) of this section, and it does not include 
thief hatches or other openings on a storage vessel).
* * * * *
    (e) * * *
    (8) Equipment leaks from all other components that are not listed 
in paragraph (e)(1), (2), or (7) of this section and are either subject 
to the well site or compressor station fugitive emissions standards in 
Sec.  60.5397a of this chapter or you elect to survey using a leak 
detection method described in Sec.  98.234(a)(6) or (7). The other 
components subject to this paragraph (e)(8) also do not include thief 
hatches or other openings on a storage vessel. If these other 
components are not subject to the well site or compressor station 
fugitive emissions standards in Sec.  60.5397a of this chapter, you may 
also elect to report emissions from these other components if you elect 
to survey them using a leak detection method described in Sec.  
98.234(a)(1) through (5).
    (f) * * *
    (5) Equipment leaks from valves, connectors, open ended lines, 
pressure relief valves, and meters associated with storage stations.
    (6) Equipment leaks from all other components that are associated 
with storage stations, are not listed in paragraph (f)(1), (2), or (5) 
of this section, and are either subject to the well site or compressor 
station fugitive emissions standards in Sec.  60.5397a of this chapter 
or you elect to survey using a leak detection method described in Sec.  
98.234(a)(6) or (7). If these other components are not subject to the 
well site or compressor station fugitive emissions standards in Sec.  
60.5397a of this chapter, you may also elect to report emissions from 
these other components if you elect to survey them using a leak 
detection method described in Sec.  98.234(a)(1) through (5).
    (7) Equipment leaks from valves, connectors, open-ended lines, and 
pressure relief valves associated with storage wellheads.
    (8) Equipment leaks from all other components that are associated 
with storage wellheads, are not listed in paragraph (f)(1), (2), or (7) 
of this section, and are either subject to the well site or compressor 
station fugitive emissions standards in Sec.  60.5397a, of this chapter 
or you elect to survey using a leak detection method described in Sec.  
98.234(a)(6) or (7). If these other components are not subject to the 
well site or compressor station fugitive emissions standards in Sec.  
60.5397a of this chapter, you may also elect to report emissions from 
these other components if you elect to survey them using a leak 
detection method described in Sec.  98.234(a)(1) through (5).
    (g) * * *
    (3) Flare stack emissions.
    (4) Equipment leaks from valves, pump seals, connectors, and other 
equipment leak sources in LNG service.
    (5) Equipment leaks from vapor recovery compressors, if you do not 
survey components associated with vapor recovery compressors in 
accordance with paragraph (g)(6) of this section.
    (6) Equipment leaks from all components in gas service that are 
associated with a vapor recovery compressor, are not listed in 
paragraph (g)(1) or (2) of this section, and that are either subject to 
the well site or compressor station fugitive emissions standards in 
Sec.  60.5397a of this chapter or you elect to survey using a leak 
detection method described in Sec.  98.234(a).
    (7) Equipment leaks from all components in gas service that are not 
associated with a vapor recovery compressor, are not listed in 
paragraph (g)(1) or (2) of this section, and are either subject to the 
well site or compressor station fugitive emissions standards in Sec.  
60.5397a of this chapter or you elect to survey using a leak detection 
method described in Sec.  98.234(a)(6) or (7). If these components are 
not subject to the well site or compressor station fugitive emissions 
standards in Sec.  60.5397a of this chapter, you may also elect to 
report emissions from these components if you elect to survey them 
using a leak detection method described in Sec.  98.234(a)(1) through 
(5).
    (h) * * *
    (4) Flare stack emissions.
    (5) Equipment leaks from valves, pump seals, connectors, and other 
equipment leak sources in LNG service.
    (6) Equipment leaks from vapor recovery compressors, if you do not 
survey components associated with vapor recovery compressors in 
accordance with paragraph (h)(7) of this section.
    (7) Equipment leaks from all components in gas service that are 
associated with a vapor recovery compressor, are not listed in 
paragraph (h)(1) or (2) of this section, and that are either subject to 
the well site or compressor station fugitive emissions standards in 
Sec.  60.5397a of this chapter or you elect to survey using a leak 
detection method described in Sec.  98.234(a).
    (8) Equipment leaks from all components in gas service that are not 
associated with a vapor recovery compressor, are not listed in 
paragraph (h)(1) or (2) of this section, and that are either subject to 
the well site or compressor station fugitive emissions standards in 
Sec.  60.5397a of this chapter or you elect to survey using a leak 
detection method described in Sec.  98.234(a)(6) or (7). If these 
components are not subject to the well site or compressor station 
fugitive emissions standards in Sec.  60.5397a of this chapter, you may 
also elect to report emissions from these components if you elect to 
survey them using a leak detection method described in Sec.  
98.234(a)(1) through (5).
* * * * *
    (j) * * *
    (10) Equipment leaks from valves, connectors, open ended lines, 
pressure relief valves, pumps, flanges, and other components (such as 
instruments, loading arms, stuffing boxes, compressor seals, dump lever 
arms, and breather caps, but does not include components in paragraph 
(j)(8) or (9) of this section, and it does not include thief hatches or 
other openings on a storage vessel).
* * * * *

0
3. Section 98.233 is amended by:
0
a. Revising the parameter EFt of Equation W-1 in paragraph 
(a) introductory text, and paragraph (q);

[[Page 86512]]

0
b. Removing the first two sentences of paragraph (r) introductory text 
and adding four sentences in their place; and
0
c. Revising the parameters Counte and EFs,e of 
Equation W-32A in paragraph (r) introductory text, and paragraphs 
(r)(3) through (5).
    The revisions read as follows:


Sec.  98.233  Calculating GHG emissions.

* * * * *
    (a) * * *
* * * * *

EFt = Population emission factors for natural gas 
pneumatic device vents (in standard cubic feet per hour per device) 
of each type ``t'' listed in Tables W-1A, W-3B, and W-4B to this 
subpart for onshore petroleum and natural gas production, onshore 
natural gas transmission compression, and underground natural gas 
storage facilities, respectively. Onshore petroleum and natural gas 
gathering and boosting facilities must use the population emission 
factors listed in Table W-1A to this subpart.

* * * * *
    (q) Equipment leak surveys. For the components identified in 
paragraphs (q)(1)(i) through (iii) of this section, you must conduct 
equipment leak surveys using the leak detection methods specified in 
paragraphs (q)(1)(i) through (iii) of this section. For the components 
identified in paragraph (q)(1)(iv) of this section, you may elect to 
conduct equipment leak surveys, and if you elect to conduct surveys, 
you must use a leak detection method specified in paragraph (q)(1)(iv) 
of this section. This paragraph (q) applies to components in streams 
with gas content greater than 10 percent CH4 plus 
CO2 by weight. Components in streams with gas content less 
than or equal to 10 percent CH4 plus CO2 by 
weight are exempt from the requirements of this paragraph (q) and do 
not need to be reported. Tubing systems equal to or less than one half 
inch diameter are exempt from the requirements of this paragraph (q) 
and do not need to be reported.
    (1) Survey requirements. (i) For the components listed in Sec.  
98.232(e)(7), (f)(5), (g)(4), and (h)(5), that are not subject to the 
well site or compressor station fugitive emissions standards in Sec.  
60.5397a of this chapter, you must conduct surveys using any of the 
leak detection methods listed in Sec.  98.234(a) and calculate 
equipment leak emissions using the procedures specified in paragraph 
(q)(2) of this section.
    (ii) For the components listed in Sec.  98.232(d)(7) and (i)(1), 
you must conduct surveys using any of the leak detection methods listed 
in Sec.  98.234(a)(1) through (5) and calculate equipment leak 
emissions using the procedures specified in paragraph (q)(2) of this 
section.
    (iii) For the components listed in Sec.  98.232(c)(21), (e)(7), 
(e)(8), (f)(5), (f)(6), (f)(7), (f)(8), (g)(4), (g)(6), (g)(7), (h)(5), 
(h)(7), (h)(8), and (j)(10) that are subject to the well site or 
compressor station fugitive emissions standards in Sec.  60.5397a of 
this chapter, you must conduct surveys using any of the leak detection 
methods in Sec.  98.234(a)(6) or (7) and calculate equipment leak 
emissions using the procedures specified in paragraph (q)(2) of this 
section.
    (iv) For the components listed in Sec.  98.232(c)(21), (e)(8), 
(f)(6), (f)(7), (f)(8), (g)(6), (g)(7), (h)(7), (h)(8), or (j)(10), 
that are not subject to fugitive emissions standards in Sec.  60.5397a 
of this chapter, you may elect to conduct surveys according to this 
paragraph (q), and, if you elect to do so, then you must use one of the 
leak detection methods in Sec.  98.234(a).
    (A) If you elect to use a leak detection method in Sec.  
98.234(a)(1) through (5) for the surveyed component types in Sec.  
98.232(c)(21), (f)(7), (g)(6), (h)(7), or (j)(10) in lieu of the 
population count methodology specified in paragraph (r) of this 
section, then you must calculate emissions for the surveyed component 
types in Sec.  98.232(c)(21), (f)(7), (g)(6), (h)(7), or (j)(10) using 
the procedures in paragraph (q)(2) of this section.
    (B) If you elect to use a leak detection method in Sec.  
98.234(a)(1) through (5) for the surveyed component types in Sec.  
98.232(e)(8), (f)(6), (f)(8), (g)(7), and (h)(8), then you must use the 
procedures in paragraph (q)(2) of this section to calculate those 
emissions.
    (C) If you elect to use a leak detection method in Sec.  
98.234(a)(6) or (7) for any elective survey under this subparagraph 
(q)(1)(iv), then you must survey the component types in Sec.  
98.232(c)(21), (e)(8), (f)(6), (f)(7), (f)(8), (g)(6), (g)(7), (h)(7), 
(h)(8), and (j)(10) that are not subject to fugitive emissions 
standards in Sec.  60.5397a of this chapter, and you must calculate 
emissions from the surveyed component types in Sec.  98.232(c)(21), 
(e)(8), (f)(6), (f)(7), (f)(8), (g)(6), (g)(7), (h)(7), (h)(8), and 
(j)(10) using the emission calculation requirements in paragraph (q)(2) 
of this section.
    (2) Emission calculation methodology. For industry segments listed 
in Sec.  98.230(a)(2) through (9), if equipment leaks are detected 
during surveys required or elected for components listed in paragraphs 
(q)(1)(i) through (iv) of this section, then you must calculate 
equipment leak emissions per component type per reporting facility 
using Equation W-30 of this section and the requirements specified in 
paragraphs (q)(2)(i) through (xi) of this section. For the industry 
segment listed in Sec.  98.230(a)(8), the results from Equation W-30 
are used to calculate population emission factors on a meter/regulator 
run basis using Equation W-31 of this section. If you chose to conduct 
equipment leak surveys at all above grade transmission-distribution 
transfer stations over multiple years, ``n,'' according to paragraph 
(q)(2)(x)(A) of this section, then you must calculate the emissions 
from all above grade transmission-distribution transfer stations as 
specified in paragraph (q)(2)(xi) of this section.
[GRAPHIC] [TIFF OMITTED] TR30NO16.000

Where:

Es,p,i = Annual total volumetric emissions of GHGi from 
specific component type ``p'' (in accordance with paragraphs 
(q)(1)(i) through (iv) of this section) in standard (``s'') cubic 
feet, as specified in paragraphs (q)(2)(ii) through (x) of this 
section.
xp = Total number of specific component type ``p'' 
detected as leaking in any leak survey during the year. A component 
found leaking in two or more surveys during the year is counted as 
one leaking component.
EFs,p = Leaker emission factor for specific component 
types listed in Tables W-1E, W-2, W-3A, W-4A, W-5A, W-6A, and W-7 to 
this subpart.
GHGi = For onshore petroleum and natural gas production 
facilities and onshore petroleum and natural gas gathering and 
boosting facilities, concentration of GHGi, 
CH4, or CO2, in produced natural gas as 
defined in paragraph (u)(2) of this section; for onshore natural gas 
processing facilities, concentration of GHGi, 
CH4 or CO2, in the total hydrocarbon of the 
feed natural gas; for onshore natural gas transmission compression 
and underground natural

[[Page 86513]]

gas storage, GHGi equals 0.975 for CH4 and 1.1 
x 10-2 for CO2; for LNG storage and LNG import 
and export equipment, GHGi equals 1 for CH4 
and 0 for CO2; and for natural gas distribution, 
GHGi equals 1 for CH4 and 1.1 x 
10-2 CO2.
Tp,z = The total time the surveyed component ``z,'' 
component type ``p,'' was assumed to be leaking and operational, in 
hours. If one leak detection survey is conducted in the calendar 
year, assume the component was leaking for the entire calendar year. 
If multiple leak detection surveys are conducted in the calendar 
year, assume a component found leaking in the first survey was 
leaking since the beginning of the year until the date of the 
survey; assume a component found leaking in the last survey of the 
year was leaking from the preceding survey through the end of the 
year; assume a component found leaking in a survey between the first 
and last surveys of the year was leaking since the preceding survey 
until the date of the survey; and sum times for all leaking periods. 
For each leaking component, account for time the component was not 
operational (i.e., not operating under pressure) using an 
engineering estimate based on best available data.

    (i) You must conduct at least one leak detection survey in a 
calendar year. The leak detection surveys selected must be conducted 
during the calendar year. If you conduct multiple complete leak 
detection surveys in a calendar year, you must use the results from 
each complete leak detection survey when calculating emissions using 
Equation W-30. For components subject to the well site and compressor 
station fugitive emissions standards in Sec.  60.5397a of this chapter, 
each survey conducted in accordance with Sec.  60.5397a of this chapter 
will be considered a complete leak detection survey for purposes of 
this section.
    (ii) Calculate both CO2 and CH4 mass 
emissions using calculations in paragraph (v) of this section.
    (iii) Onshore petroleum and natural gas production facilities must 
use the appropriate default whole gas leaker emission factors for 
components in gas service, light crude service, and heavy crude service 
listed in Table W-1E to this subpart.
    (iv) Onshore petroleum and natural gas gathering and boosting 
facilities must use the appropriate default whole gas leaker factors 
for components in gas service listed in Table W-1E to this subpart.
    (v) Onshore natural gas processing facilities must use the 
appropriate default total hydrocarbon leaker emission factors for 
compressor components in gas service and non-compressor components in 
gas service listed in Table W-2 to this subpart.
    (vi) Onshore natural gas transmission compression facilities must 
use the appropriate default total hydrocarbon leaker emission factors 
for compressor components in gas service and non-compressor components 
in gas service listed in Table W-3A to this subpart.
    (vii) Underground natural gas storage facilities must use the 
appropriate default total hydrocarbon leaker emission factors for 
storage stations or storage wellheads in gas service listed in Table W-
4A to this subpart.
    (viii) LNG storage facilities must use the appropriate default 
methane leaker emission factors for LNG storage components in LNG 
service or gas service listed in Table W-5A to this subpart.
    (ix) LNG import and export facilities must use the appropriate 
default methane leaker emission factors for LNG terminals components in 
LNG service or gas service listed in Table W-6A to this subpart.
    (x) Natural gas distribution facilities must use Equation W-30 of 
this section and the default methane leaker emission factors for 
transmission-distribution transfer station components in gas service 
listed in Table W-7 to this subpart to calculate component emissions 
from annual equipment leak surveys conducted at above grade 
transmission-distribution transfer stations. Natural gas distribution 
facilities are required to perform equipment leak surveys only at above 
grade stations that qualify as transmission-distribution transfer 
stations. Below grade transmission-distribution transfer stations and 
all metering-regulating stations that do not meet the definition of 
transmission-distribution transfer stations are not required to perform 
equipment leak surveys under this section.
    (A) Natural gas distribution facilities may choose to conduct 
equipment leak surveys at all above grade transmission-distribution 
transfer stations over multiple years ``n,'' not exceeding a five year 
period to cover all above grade transmission-distribution transfer 
stations. If the facility chooses to use the multiple year option, then 
the number of transmission-distribution transfer stations that are 
monitored in each year should be approximately equal across all years 
in the cycle.
    (B) Use Equation W-31 of this section to determine the meter/
regulator run population emission factors for each GHGi. As 
additional survey data become available, you must recalculate the 
meter/regulator run population emission factors for each 
GHGi annually according to paragraph (q)(2)(x)(C) of this 
section.
[GRAPHIC] [TIFF OMITTED] TR30NO16.001

Where:

EFs,MR,i = Meter/regulator run population emission factor 
for GHGi based on all surveyed above grade transmission-
distribution transfer stations over ``n'' years, in standard cubic 
feet of GHGi per operational hour of all meter/regulator 
runs.
Es,p,i,y = Annual total volumetric emissions at standard 
conditions of GHGi from component type ``p'' during year 
``y'' in standard (``s'') cubic feet, as calculated using Equation 
W-30 of this section.
p = Seven component types listed in Table W-7 to this subpart for 
transmission-distribution transfer stations.
Tw,y = The total time the surveyed meter/regulator run 
``w'' was operational, in hours during survey year ``y'' using an 
engineering estimate based on best available data.
CountMR,y = Count of meter/regulator runs surveyed at 
above grade transmission-distribution transfer stations in year 
``y''.
y = Year of data included in emission factor ``EFs,MR,i'' 
according to paragraph (q)(2)(x)(C) of this section.
n = Number of years of data, according to paragraph (q)(2)(x)(A) of 
this section, whose results are used to calculate emission factor 
``EFs,MR,i'' according to paragraph (q)(2)(x)(C) of this 
section.

    (C) The emission factor ``EFs,MR,i,'' based on annual 
equipment leak surveys at above grade transmission-distribution 
transfer stations, must be calculated

[[Page 86514]]

annually. If you chose to conduct equipment leak surveys at all above 
grade transmission-distribution transfer stations over multiple years, 
``n,'' according to paragraph (q)(2)(x)(A) of this section and you have 
submitted a smaller number of annual reports than the duration of the 
selected cycle period of 5 years or less, then all available data from 
the current year and previous years must be used in the calculation of 
the emission factor ``EFs,MR,i'' from Equation W-31 of this 
section. After the first survey cycle of ``n'' years is completed and 
beginning in calendar year (n+1), the survey will continue on a rolling 
basis by including the survey results from the current calendar year 
``y'' and survey results from all previous (n-1) calendar years, such 
that each annual calculation of the emission factor 
``EFs,MR,i'' from Equation W-31 is based on survey results 
from ``n'' years. Upon completion of a cycle, you may elect to change 
the number of years in the next cycle period (to be 5 years or less). 
If the number of years in the new cycle is greater than the number of 
years in the previous cycle, calculate ``EFs,MR,i'' from 
Equation W-31 in each year of the new cycle using the survey results 
from the current calendar year and the survey results from the 
preceding number years that is equal to the number of years in the 
previous cycle period. If the number of years, ``nnew,'' in 
the new cycle is smaller than the number of years in the previous 
cycle, ``n,'' calculate ``EFs,MR,i'' from Equation W-31 in 
each year of the new cycle using the survey results from the current 
calendar year and survey results from all previous (nnew-1) 
calendar years.
    (xi) If you chose to conduct equipment leak surveys at all above 
grade transmission-distribution transfer stations over multiple years, 
``n,'' according to paragraph (q)(2)(x)(A) of this section, you must 
use the meter/regulator run population emission factors calculated 
using Equation W-31 of this section and the total count of all meter/
regulator runs at above grade transmission-distribution transfer 
stations to calculate emissions from all above grade transmission-
distribution transfer stations using Equation W-32B in paragraph (r) of 
this section.
    (r) * * * This paragraph (r) applies to emissions sources listed in 
Sec.  98.232(c)(21), (f)(7), (g)(5), (h)(6), and (j)(10) if you are not 
required to comply with paragraph (q) of this section and if you do not 
elect to comply with paragraph (q) of this section for these components 
in lieu of this paragraph (r). This paragraph (r) also applies to 
emission sources listed in Sec.  98.232(i)(2), (i)(3), (i)(4), (i)(5), 
(i)(6), and (j)(11). To be subject to the requirements of this 
paragraph (r), the listed emissions sources also must contact streams 
with gas content greater than 10 percent CH plus 
CO2 by weight. Emissions sources that contact streams with 
gas content less than or equal to 10 percent CH4 plus 
CO2 by weight are exempt from the requirements of this 
paragraph (r) and do not need to be reported. * * *
* * * * *

Counte = Total number of the emission source type at the 
facility. For onshore petroleum and natural gas production 
facilities and onshore petroleum and natural gas gathering and 
boosting facilities, average component counts are provided by major 
equipment piece in Tables W-1B and Table W-1C to this subpart. Use 
average component counts as appropriate for operations in Eastern 
and Western U.S., according to Table W-1D to this subpart. Onshore 
petroleum and natural gas gathering and boosting facilities must 
also count the miles of gathering pipelines by material type 
(protected steel, unprotected steel, plastic, or cast iron). 
Underground natural gas storage facilities must count each component 
listed in Table W-4B to this subpart. LNG storage facilities must 
count the number of vapor recovery compressors. LNG import and 
export facilities must count the number of vapor recovery 
compressors. Natural gas distribution facilities must count: (1) The 
number of distribution services by material type; (2) miles of 
distribution mains by material type; and (3) number of below grade 
metering-regulating stations, by pressure type; as listed in Table 
W-7 to this subpart.
* * * * *
EFs,e = Population emission factor for the specific 
emission source type, as listed in Tables W-1A, W-4B, W-5B, W-6B, 
and W-7 to this subpart. Use appropriate population emission factor 
for operations in Eastern and Western U.S., according to Table W-1D 
to this subpart.
* * * * *

    (3) Underground natural gas storage facilities must use the 
appropriate default total hydrocarbon population emission factors for 
storage wellheads in gas service listed in Table W-4B to this subpart.
    (4) LNG storage facilities must use the appropriate default methane 
population emission factor for LNG storage compressors in gas service 
listed in Table W-5B to this subpart.
    (5) LNG import and export facilities must use the appropriate 
default methane population emission factor for LNG terminal compressors 
in gas service listed in Table W-6B to this subpart.
* * * * *

0
4. Section 98.234 is amended by:
0
a. Revising paragraph (a) introductory text, the paragraph (a)(1) 
heading, and the fourth sentence in paragraph (a)(2); and
0
b. Adding paragraphs (a)(6) and (7).
    The revisions and additions read as follows:
* * * * *


Sec.  98.234  Monitoring and QA/QC requirements.

    (a) You must use any of the methods described in paragraphs (a)(1) 
through (5) of this section to conduct leak detection(s) of through-
valve leakage from all source types listed in Sec.  98.233(k), (o), and 
(p) that occur during a calendar year. You must use any of the methods 
described in paragraphs (a)(1) through (7) of this section to conduct 
leak detection(s) of equipment leaks from components as specified in 
Sec.  98.233(q)(1)(i) that occur during a calendar year. You must use 
any of the methods described in paragraphs (a)(1) through (5) of this 
section to conduct leak detection(s) of equipment leaks from components 
as specified in Sec.  98.233(q)(1)(ii) that occur during a calendar 
year. You must use one of the methods described in paragraph (a)(6) or 
(7) of this section to conduct leak detection(s) of equipment leaks 
from components as specified in Sec.  98.233(q)(1)(iii). If electing to 
comply with Sec.  98.233(q) as specified in Sec.  98.233(q)(1)(iv), you 
must use any of the methods described in paragraphs (a)(1) through (7) 
of this section to conduct leak detection(s) of equipment leaks from 
component types as specified in Sec.  98.233(q)(1)(iv) that occur 
during a calendar year.
    (1) Optical gas imaging instrument as specified in Sec.  60.18 of 
this chapter. * * *
* * * * *
    (2) * * * If the equipment leak detection methods in this paragraph 
cannot be used, you must use alternative leak detection devices as 
described in paragraph (a)(1) of this section to monitor inaccessible 
equipment leaks or vented emissions.
* * * * *
    (6) Optical gas imaging instrument as specified in Sec.  60.5397a 
of this chapter. Use an optical gas imaging instrument for equipment 
leak detection in accordance with Sec.  60.5397a(b), (c)(3), (c)(7), 
and (e) of this chapter and paragraphs (a)(6)(i) through (iii) of this 
section. Unless using methods in paragraph (a)(7) of this section, an 
optical gas imaging instrument must be used for all source types that 
are inaccessible and cannot be monitored without elevating the 
monitoring

[[Page 86515]]

personnel more than 2 meters above a support surface.
    (i) For the purposes of this subpart, any visible emissions from a 
component listed in Sec.  98.232 observed by the optical gas imaging 
instrument is a leak.
    (ii) For the purposes of this subpart, the term ``fugitive 
emissions component'' in Sec.  60.5397a of this chapter means 
``component.''
    (iii) For the purpose of complying with Sec.  98.233(q)(1)(iv), the 
phrase ``the collection of fugitive emissions components at well sites 
and compressor stations'' in Sec.  60.5397a(b) of this chapter means 
``the collection of components for which you elect to comply with Sec.  
98.233(q)(1)(iv).''
    (7) Method 21 as specified in Sec.  60.5397a of this chapter. Use 
the equipment leak detection methods in appendix A-7 to part 60 of this 
chapter, Method 21, in accordance with Sec.  60.5397a(b), (c)(8), and 
(e) of this chapter and paragraphs (a)(7)(i) through (iii) of this 
section. Inaccessible emissions sources, as defined in part 60 of this 
chapter, are not exempt from this subpart. If the equipment leak 
detection methods in this paragraph cannot be used, you must use 
alternative leak detection devices as described in paragraph (a)(6) of 
this section to monitor inaccessible equipment leaks.
    (i) For the purposes of this subpart, any instrument reading from a 
component listed in Sec.  98.232 of this chapter of 500 ppm or greater 
using Method 21 is a leak.
    (ii) For the purposes of this subpart, the term ``fugitive 
emissions component'' in Sec.  60.5397a of this chapter means 
``component.''
    (iii) For the purpose of complying with Sec.  98.233(q)(1)(iv), the 
phrase ``the collection of fugitive emissions components at well sites 
and compressor stations'' in Sec.  60.5397a(b) of this chapter means 
``the collection of components for which you elect to comply with Sec.  
98.233(q)(1)(iv).''
* * * * *

0
5. Section 98.236 is amended by:
0
a. Redesignating paragraphs (a)(1)(xiv) through (xvii) as paragraphs 
(a)(1)(xv) through (xviii), respectively;
0
b. Adding new paragraph (a)(1)(xiv);
0
c. Redesignating paragraphs (a)(9)(x) and (xi) as paragraphs (a)(9)(xi) 
and (xii), respectively;
0
d. Adding new paragraph (a)(9)(x);
0
e. Revising paragraph (q) introductory text, paragraph (q)(1), 
paragraph (q)(2) introductory text, paragraph (r)(3)(ii) introductory 
text, and the second sentence of paragraph (z) introductory text.
    The revisions and additions read as follows:


Sec.  98.236   Data reporting requirements.

* * * * *
    (a) * * *
    (1) * * *
    (xiv) Equipment leak surveys. Report the information specified in 
paragraph (q) of this section.
* * * * *
    (9) * * *
    (x) Equipment leak surveys. Report the information specified in 
paragraph (q) of this section.
* * * * *
    (q) Equipment leak surveys. For any components subject to or 
complying with the requirements of Sec.  98.233(q), you must report the 
information specified in paragraphs (q)(1) and (2) of this section. 
Natural gas distribution facilities with emission sources listed in 
Sec.  98.232(i)(1) must also report the information specified in 
paragraph (q)(3) of this section.
    (1) You must report the information specified in paragraphs 
(q)(1)(i) through (v) of this section.
    (i) Except as specified in paragraph (q)(1)(ii) of this section, 
the number of complete equipment leak surveys performed during the 
calendar year.
    (ii) Natural gas distribution facilities performing equipment leak 
surveys across a multiple year leak survey cycle must report the number 
of years in the leak survey cycle.
    (iii) Except for onshore natural gas processing facilities and 
natural gas distribution facilities, indicate whether any equipment 
components at your facility are subject to the well site or compressor 
station fugitive emissions standards in Sec.  60.5397a of this chapter. 
Report the indication per facility, not per component type.
    (iv) For facilities in onshore petroleum and natural gas 
production, onshore petroleum and natural gas gathering and boosting, 
onshore natural gas transmission compression, underground natural gas 
storage, LNG storage, and LNG import and export equipment, indicate 
whether you elected to comply with Sec.  98.233(q) according to Sec.  
98.233(q)(1)(iv) for any equipment components at your facility.
    (v) Report each type of method described in Sec.  98.234(a) that 
was used to conduct leak surveys.
    (2) You must indicate whether your facility contains any of the 
component types subject to or complying with Sec.  98.233(q) that are 
listed in Sec.  98.232(c)(21), (d)(7), (e)(7), (e)(8), (f)(5), (f)(6), 
(f)(7), (f)(8), (g)(4), (g)(6), (g)(7), (h)(5), (h)(7), (h)(8), (i)(1), 
or (j)(10) for your facility's industry segment. For each component 
type that is located at your facility, you must report the information 
specified in paragraphs (q)(2)(i) through (v) of this section. If a 
component type is located at your facility and no leaks were identified 
from that component, then you must report the information in paragraphs 
(q)(2)(i) through (v) of this section but report a zero (``0'') for the 
information required according to paragraphs (q)(2)(ii) through (v) of 
this section.
* * * * *
    (r) * * *
    (3) * * *
    (ii) Onshore petroleum and natural gas production facilities and 
onshore petroleum and natural gas gathering and boosting facilities 
must report the information specified in paragraphs (r)(3)(ii)(A) and 
(B) of this section, for each major equipment type, production type 
(i.e., natural gas or crude oil), and geographic location combination 
in Tables W-1B and W-1C to this subpart for which equipment leak 
emissions are calculated using the methodology in Sec.  98.233(r).
* * * * *
    (z) * * * If your facility contains any combustion units subject to 
reporting according to paragraph (a)(1)(xviii), (a)(8)(i), or 
(a)(9)(xii) of this section, then you must report the information 
specified in paragraphs (z)(1) and (2) of this section, as applicable.
* * * * *

0
6. Add Table W-1E to subpart W of part 98 in numerical order to read as 
follows:

[[Page 86516]]



  Table W-1E to Subpart W of Part 98--Default Whole Gas Leaker Emission
  Factors for Onshore Petroleum and Natural Gas Production and Onshore
            Petroleum and Natural Gas Gathering and Boosting
------------------------------------------------------------------------
                                 Emission factor (scf/hour/component)
                             -------------------------------------------
                               If you survey using
    Equipment components       any of the methods    If you survey using
                                     in Sec.            Method 21  as
                                  98.234(a)(1)       specified in  Sec.
                                   through (6)          98.234(a)(7)
------------------------------------------------------------------------
          Leaker Emission Factors--All Components, Gas Service
------------------------------------------------------------------------
Valve.......................                   4.9                   3.5
Flange......................                   4.1                   2.2
Connector (other)...........                   1.3                   0.8
Open-Ended Line 2...........                   2.8                   1.9
Pressure Relief Valve.......                   4.5                   2.8
Pump Seal...................                   3.7                   1.4
Other 3.....................                   4.5                   2.8
------------------------------------------------------------------------
      Leaker Emission Factors--All Components, Light Crude Service
------------------------------------------------------------------------
Valve.......................                   3.2                   2.2
Flange......................                   2.7                   1.4
Connector (other)...........                   1.0                   0.6
Open-Ended Line.............                   1.6                   1.1
Pump........................                   3.7                   2.6
Agitator Seal...............                   3.7                   2.6
Other 3.....................                   3.1                   2.0
------------------------------------------------------------------------
      Leaker Emission Factors--All Components, Heavy Crude Service
------------------------------------------------------------------------
Valve.......................                   3.2                   2.2
Flange......................                   2.7                   1.4
Connector (other)...........                   1.0                   0.6
Open-Ended Line.............                   1.6                   1.1
Pump........................                   3.7                   2.6
Agitator Seal...............                   3.7                   2.6
Other 3.....................                   3.1                   2.0
------------------------------------------------------------------------
1 For multi-phase flow that includes gas, use the gas service emission
  factors.
2 The open-ended lines component type includes blowdown valve and
  isolation valve leaks emitted through the blowdown vent stack for
  centrifugal and reciprocating compressors.
3 ``Others'' category includes any equipment leak emission point not
  specifically listed in this table, as specified in Sec.
  98.232(c)(21) and (j)(10).
4 Hydrocarbon liquids greater than or equal to 20[deg]API are considered
  ``light crude.''
5 Hydrocarbon liquids less than 20[deg]API are considered ``heavy
  crude.''


0
7. Remove Table W-3 to subpart W of part 98 and add Table W-3A and 
Table W-3B to subpart W of part 98 in numerical order to read as 
follows:

  Table W-3A to Subpart W of Part 98--Default Total Hydrocarbon Leaker
    Emission Factors for Onshore Natural Gas Transmission Compression
------------------------------------------------------------------------
                                 Emission factor  (scf/hour/component)
                             -------------------------------------------
                               If you survey using
     Onshore natural gas       any of the methods    If you survey using
  transmission compression           in Sec.            Method 21 as
                                  98.234(a)(1)       specified in  Sec.
                                   through (6)          98.234(a)(7)
------------------------------------------------------------------------
       Leaker Emission Factors--Compressor Components, Gas Service
------------------------------------------------------------------------
Valve \1\...................                 14.84                  9.51
Connector...................                  5.59                  3.58
Open-Ended Line.............                 17.27                 11.07
Pressure Relief Valve.......                 39.66                 25.42
Meter or Instrument.........                 19.33                 12.39
Other \2\...................                   4.1                  2.63
------------------------------------------------------------------------
     Leaker Emission Factors--Non-Compressor Components, Gas Service
------------------------------------------------------------------------
Valve \1\...................                  6.42                  4.12
Connector...................                  5.71                  3.66
Open-Ended Line.............                 11.27                  7.22

[[Page 86517]]

 
Pressure Relief Valve.......                  2.01                  1.29
Meter or Instrument.........                  2.93                  1.88
Other \2\...................                   4.1                  2.63
------------------------------------------------------------------------
\1\ Valves include control valves, block valves and regulator valves.
\2\ Other includes any potential equipment leak emission point in gas
  service that is not specifically listed in this table, as specified in
  Sec.   98.232(e)(8).


Table W-3B to Subpart W of Part 98--Default Total Hydrocarbon Population
    Emission Factors for Onshore Natural Gas Transmission Compression
------------------------------------------------------------------------
 Population emission factors--gas service onshore   Emission factor (scf/
       natural gas transmission compression            hour/component)
------------------------------------------------------------------------
Low Continuous Bleed Pneumatic Device Vents \1\...                  1.37
High Continuous Bleed Pneumatic Device Vents \1\..                 18.20
Intermittent Bleed Pneumatic Device Vents \1\.....                  2.35
------------------------------------------------------------------------
1 Emission Factor is in units of ``scf/hour/device.''


0
8. Remove Table W-4 to subpart W of part 98 and add Table W-4A and 
Table W-4B to subpart W of part 98 in numerical order to read as 
follows:

  Table W-4A to Subpart W of Part 98--Default Total Hydrocarbon Leaker
          Emission Factors for Underground Natural Gas Storage
------------------------------------------------------------------------
                                 Emission factor  (scf/hour/component)
                             -------------------------------------------
                               If you survey using
   Underground natural gas     any of the methods    If you survey using
           storage                   in Sec.            Method 21 as
                                  98.234(a)(1)       specified in  Sec.
                                   through (6)          98.234(a)(7)
------------------------------------------------------------------------
          Leaker Emission Factors--Storage Station, Gas Service
------------------------------------------------------------------------
Valve \1\...................                 14.84                  9.51
Connector (other)...........                  5.59                  3.58
Open-Ended Line.............                 17.27                 11.07
Pressure Relief Valve.......                 39.66                 25.42
Meter and Instrument........                 19.33                 12.39
Other \2\...................                   4.1                  2.63
------------------------------------------------------------------------
         Leaker Emission Factors--Storage Wellheads, Gas Service
------------------------------------------------------------------------
Valve \1\...................                   4.5                   3.2
Connector (other than                          1.2                   0.7
 flanges)...................
Flange......................                   3.8                   2.0
Open-Ended Line.............                   2.5                   1.7
Pressure Relief Valve.......                   4.1                   2.5
Other \2\...................                   4.1                   2.5
------------------------------------------------------------------------
\1\ Valves include control valves, block valves and regulator valves.
\2\ Other includes any potential equipment leak emission point in gas
  service that is not specifically listed in this table, as specified in
  Sec.   98.232(f)(6) and (8).


Table W-4B to Subpart W of Part 98--Default Total Hydrocarbon Population
          Emission Factors for Underground Natural Gas Storage
------------------------------------------------------------------------
                                                       Emission factor
          Underground natural gas storage           (scf/hour/component)
------------------------------------------------------------------------
       Population Emission Factors--Storage Wellheads, Gas Service
------------------------------------------------------------------------
Connector.........................................                  0.01

[[Page 86518]]

 
Valve.............................................                   0.1
Pressure Relief Valve.............................                  0.17
Open-Ended Line...................................                  0.03
------------------------------------------------------------------------
       Population Emission Factors--Other Components, Gas Service
------------------------------------------------------------------------
Low Continuous Bleed Pneumatic Device Vents \1\...                  1.37
High Continuous Bleed Pneumatic Device Vents \1\..                 18.20
Intermittent Bleed Pneumatic Device Vents \1\.....                  2.35
------------------------------------------------------------------------
\1\ Emission Factor is in units of ``scf/hour/device.''


0
9. Remove Table W-5 to subpart W of part 98 and add Table W-5A and 
Table W-5B to subpart W of part 98 in numerical order to read as 
follows:

   Table W-5A to Subpart W of Part 98--Default Methane Leaker Emission
             Factors for Liquefied Natural Gas (LNG) Storage
------------------------------------------------------------------------
                                 Emission factor  (scf/hour/component)
                             -------------------------------------------
                               If you survey using
         LNG storage           any of the methods    If you survey using
                                     in Sec.            Method 21 as
                                  98.234(a)(1)       specified in  Sec.
                                   through (6)          98.234(a)(7)
------------------------------------------------------------------------
      Leaker Emission Factors--LNG Storage Components, LNG Service
------------------------------------------------------------------------
Valve.......................                  1.19                  0.23
Pump Seal...................                  4.00                  0.73
Connector...................                  0.34                  0.11
Other \1\...................                  1.77                  0.99
------------------------------------------------------------------------
      Leaker Emission Factors--LNG Storage Components, Gas Service
------------------------------------------------------------------------
Valve \2\...................                 14.84                  9.51
Connector...................                  5.59                  3.58
Open-Ended Line.............                 17.27                 11.07
Pressure Relief Valve.......                 39.66                 25.42
Meter and Instrument........                 19.33                 12.39
Other \3\...................                   4.1                  2.63
------------------------------------------------------------------------
\1\ ``Other'' equipment type for components in LNG service should be
  applied for any equipment type other than connectors, pumps, or
  valves.
\2\ Valves include control valves, block valves and regulator valves.
\3\ ``Other'' equipment type for components in gas service should be
  applied for any equipment type other than valves, connectors, flanges,
  open-ended lines, pressure relief valves, and meters and instruments,
  as specified in Sec.   98.232(g)(6) and (7).


 Table W-5B to Subpart W of Part 98--Default Methane Population Emission
             Factors for Liquefied Natural Gas (LNG) Storage
------------------------------------------------------------------------
                                                       Emission factor
                    LNG storage                     (scf/hour/component)
------------------------------------------------------------------------
    Population Emission Factors--LNG Storage Compressor, Gas Service
------------------------------------------------------------------------
Vapor Recovery Compressor \1\.....................                  4.17
------------------------------------------------------------------------
\1\ Emission Factor is in units of ``scf/hour/device.''


0
10. Remove Table W-6 to subpart W of part 98 and add Table W-6A and 
Table W-6B to subpart W of part 98 in numerical order to read as 
follows:

[[Page 86519]]



   Table W-6A to Subpart W of Part 98--Default Methane Leaker Emission
               Factors for LNG Import and Export Equipment
------------------------------------------------------------------------
                                 Emission factor  (scf/hour/component)
                             -------------------------------------------
                               If you survey using
    LNG import and export      any of the methods    If you survey using
          equipment                  in Sec.            Method 21 as
                                  98.234(a)(1)       specified in  Sec.
                                   through (6)          98.234(a)(7)
------------------------------------------------------------------------
     Leaker Emission Factors--LNG Terminals Components, LNG Service
------------------------------------------------------------------------
Valve.......................                  1.19                  0.23
Pump Seal...................                  4.00                  0.73
Connector...................                  0.34                  0.11
Other \1\...................                  1.77                  0.99
------------------------------------------------------------------------
     Leaker Emission Factors--LNG Terminals Components, Gas Service
------------------------------------------------------------------------
Valve \2\...................                 14.84                  9.51
Connector...................                  5.59                  3.58
Open-Ended Line.............                 17.27                 11.07
Pressure Relief Valve.......                 39.66                 25.42
Meter and Instrument........                 19.33                 12.39
Other \3\...................                   4.1                  2.63
------------------------------------------------------------------------
\1\ ``Other'' equipment type for components in LNG service should be
  applied for any equipment type other than connectors, pumps, or
  valves.
\2\ Valves include control valves, block valves and regulator valves.
\3\ ``Other'' equipment type for components in gas service should be
  applied for any equipment type other than valves, connectors, flanges,
  open-ended lines, pressure relief valves, and meters and instruments,
  as specified in Sec.   98.232(h)(7) and (8).


 Table W-6B to Subpart W of Part 98--Default Methane Population Emission
               Factors for LNG Import and Export Equipment
------------------------------------------------------------------------
                                                       Emission factor
          LNG import and export equipment           (scf/hour/component)
------------------------------------------------------------------------
   Population Emission Factors--LNG Terminals Compressor, Gas Service
------------------------------------------------------------------------
Vapor Recovery Compressor \1\.....................                  4.17
------------------------------------------------------------------------
\1\ Emission Factor is in units of ``scf/hour/compressor.''

[FR Doc. 2016-27981 Filed 11-29-16; 8:45 am]
 BILLING CODE 6560-50-P



                                               86490          Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               ENVIRONMENTAL PROTECTION                                  substantially revised data elements                        also be available through the WWW.
                                               AGENCY                                                    contained in these amendments.                             Following the Administrator’s signature,
                                                                                                         DATES: This final rule is effective on                     a copy of this action will be posted on
                                               40 CFR Part 98                                            January 1, 2017.                                           the EPA’s Greenhouse Gas Reporting
                                               [EPA–HQ–OAR–2015–0764; FRL–9955–12–                       ADDRESSES: The EPA has established a                       Rule Web site at http://www.epa.gov/
                                               OAR]                                                      docket for this action under Docket ID                     ghgreporting/index.html.
                                               RIN 2060–AS73
                                                                                                         No. EPA–HQ–OAR–2015–0764. All                              SUPPLEMENTARY INFORMATION:
                                                                                                         documents in the docket are listed on
                                                                                                         the http://www.regulations.gov Web                            Regulated Entities. These revisions
                                               Greenhouse Gas Reporting Rule: Leak
                                               Detection Methodology Revisions and                       site. Although listed in the index, some                   affect entities that must submit annual
                                               Confidentiality Determinations for                        information is not publicly available,                     greenhouse gas (GHG) reports under the
                                               Petroleum and Natural Gas Systems                         e.g., confidential business information                    Greenhouse Gas Reporting Program
                                                                                                         (CBI) or other information whose                           (GHGRP), codified in the Code of
                                               AGENCY:  Environmental Protection                         disclosure is restricted by statute.                       Federal Regulations (CFR) at 40 CFR
                                               Agency (EPA).                                             Certain other material, such as                            part 98. This rule applies to all
                                               ACTION: Final rule.                                       copyrighted material, is not placed on                     petroleum and natural gas systems
                                                                                                         the Internet and will be publicly                          facilities that are subject to 40 CFR part
                                               SUMMARY:   The Environmental Protection
                                                                                                         available only in hard copy form.                          98, regardless of the facility’s location,
                                               Agency is finalizing revisions and
                                                                                                         Publicly available docket materials are                    and ensures that all these facilities
                                               confidentiality determinations for the
                                                                                                         available electronically through http://                   across the United States (U.S.) report
                                               petroleum and natural gas systems
                                               source category of the Greenhouse Gas                     www.regulations.gov.                                       GHG data consistently, and therefore is
                                               Reporting Program. In particular, this                    FOR FURTHER INFORMATION CONTACT:                           ‘‘nationally applicable’’ within the
                                               action adds new monitoring methods for                    Carole Cook, Climate Change Division,                      meaning of section 307(b)(1) of the
                                               detecting leaks from oil and gas                          Office of Atmospheric Programs (MC–                        Clean Air Act (CAA). Further, the
                                               equipment in the petroleum and natural                    6207A), Environmental Protection                           Administrator has determined that rules
                                               gas systems source category consistent                    Agency, 1200 Pennsylvania Ave. NW.,                        codified in 40 CFR part 98 are subject
                                               with the fugitive emissions monitoring                    Washington, DC 20460; telephone                            to the provisions of CAA section 307(d).
                                               methods in the recently finalized new                     number: (202) 343–9334; fax number:                        (See CAA section 307(d)(1)(V) (the
                                               source performance standards for the oil                  (202) 343–2342; email address:                             provisions of section 307(d) apply to
                                               and gas industry. This action also adds                   GHGReporting@epa.gov. For technical                        ‘‘such other actions as the Administrator
                                               emission factors for leaking equipment                    information, please go to the                              may determine’’).) These are
                                               to be used in conjunction with these                      Greenhouse Gas Reporting Rule Web                          amendments to existing regulations.
                                               monitoring methods to calculate and                       site, http://www.epa.gov/ghgreporting/.                    These amended regulations affect
                                               report greenhouse gas emissions                           To submit a question, select Help                          owners or operators of petroleum and
                                               resulting from equipment leaks. Finally,                  Center, followed by ‘‘Contact Us.’’                        natural gas systems that directly emit
                                               this action finalizes reporting                              Worldwide Web (WWW). In addition                        GHGs. Regulated categories and entities
                                               requirements and confidentiality                          to being available in the docket, an                       include, but are not limited to, those
                                               determinations for nine new or                            electronic copy of this final rule will                    listed in Table 1 of this preamble:

                                                                                          TABLE 1—EXAMPLES OF AFFECTED ENTITIES BY CATEGORY
                                                                               Category                                          NAICS a                             Examples of affected facilities

                                               Petroleum and Natural Gas Systems .........................................              486210       Pipeline transportation of natural gas.
                                                                                                                                        221210       Natural gas distribution.
                                                                                                                                        211111       Crude petroleum and natural gas extraction.
                                                                                                                                        211112       Natural gas liquid extraction.
                                                  a North   American Industry Classification System.


                                                 Table 1 of this preamble is not                            What is the effective date? The final                   making the first set of amendments to
                                               intended to be exhaustive, but rather                     rule is effective on January 1, 2017.                      this rule effective on January 1, 2017.
                                               provides a guide for readers regarding                    Section 553(d) of the Administrative                       Section 553(d) allows an effective date
                                               facilities likely to be affected by this                  Procedure Act (APA), 5 U.S.C. Chapter                      less than 30 days after publication for a
                                               action. Other types of facilities than                    5, generally provides that rules may not                   rule that ‘‘grants or recognizes an
                                               those listed in the table could also be                   take effect earlier than 30 days after they                exemption or relieves a restriction’’ or
                                               subject to reporting requirements. To                     are published in the Federal Register.                     ‘‘as otherwise provided by the agency
                                               determine whether you are affected by                     The EPA is issuing this final rule under                   for good cause found and published
                                               this action, you should carefully                         section 307(d)(1) of the Clean Air Act,                    with the rule.’’ As explained below, the
                                               examine the applicability criteria found                  which states: ‘‘The provisions of section                  EPA finds that there is good cause for
                                               in 40 CFR part 98, subpart A and 40                       553 through 557 * * * of Title 5 shall                     the first set of amendments to this rule
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                                               CFR part 98, subpart W. If you have                       not, except as expressly provided in this                  to become effective on January 1, 2017,
                                               questions regarding the applicability of                  section, apply to actions to which this                    even though this may result in an
                                                                                                         subsection applies.’’ Thus, section                        effective date fewer than 30 days from
                                               this action to a particular facility,
                                                                                                         553(d) of the APA does not apply to this                   date of publication in the Federal
                                               consult the person listed in the
                                                                                                         rule. The EPA is nevertheless acting                       Register.
                                               preceding FOR FURTHER INFORMATION
                                               CONTACT section.                                          consistently with the purposes                                While this action is being signed prior
                                                                                                         underlying APA section 553(d) in                           to December 1, 2016, there is likely to


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                                                            Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                            86491

                                               be a significant delay in the publication               outcome of the rule.’’ Any person                        C. Summary of Final Amendments to
                                               of this rule as it contains complex                     seeking to make such a demonstration to                     Monitoring Methods
                                               equations and tables and is relatively                  us should submit a Petition for                          D. Summary of Final Amendments to
                                                                                                                                                                   Components To Be Surveyed
                                               long. As an example, the EPA                            Reconsideration to the Office of the
                                                                                                                                                                E. Summary of Final Amendments to
                                               Administrator signed the Greenhouse                     Administrator, Environmental                                Leaker Emission Factors and the
                                               Gas Reporting Rule: 2015 Revisions and                  Protection Agency, Room 3000, William                       Calculation Methodology Based on
                                               Confidentiality Determinations for                      Jefferson Clinton Building, 1200                            Equipment Leak Surveys
                                               Petroleum and Natural Gas Systems                       Pennsylvania Ave. NW., Washington,                       F. Summary of Final Amendments to
                                               final rule on October 1, 2015, but the                  DC 20460, with a copy to the person                         Reporting Requirements
                                               rule was not published in the Federal                   listed in the preceding FOR FURTHER                   III. Final Confidentiality Determinations
                                               Register until October 22, 2015 (80 FR                  INFORMATION CONTACT section, and the                     A. Summary of Final Confidentiality
                                               64262). The purpose of the 30-day                                                                                   Determinations for New or Substantially
                                                                                                       Associate General Counsel for the Air
                                                                                                                                                                   Revised Subpart W Data Elements
                                               waiting period prescribed in 5 U.S.C.                   and Radiation Law Office, Office of                      B. Summary of Public Comments and
                                               553(d) is to give affected parties a                    General Counsel (Mail Code 2344A),                          Responses on the Proposed
                                               reasonable time to adjust their behavior                Environmental Protection Agency, 1200                       Confidentiality Determinations
                                               and prepare before the final rule takes                 Pennsylvania Ave. NW., Washington,                    IV. Impacts of the Final Amendments to
                                               effect. To employ the APA section                       DC 20004. Note that under CAA section                       Subpart W
                                               553(d)(3) ‘‘good cause’’ exemption, an                  307(b)(2), the requirements established                  A. Impacts of the Final Amendments
                                               agency must balance the necessity for                   by this final rule may not be challenged                 B. Summary of Comments and Responses
                                               immediate implementation against                                                                                    on the Impacts of the Proposed Rule
                                                                                                       separately in any civil or criminal
                                               principles of fundamental fairness                                                                            V. Statutory and Executive Order Reviews
                                                                                                       proceedings brought by the EPA to                        A. Executive Order 12866: Regulatory
                                               which require that all affected persons                 enforce these requirements.                                 Planning and Review and Executive
                                               be afforded a reasonable amount of time                    Acronyms and Abbreviations. The                          Order 13563: Improving Regulation and
                                               to prepare for the effective date of its                following acronyms and abbreviations                        Regulatory Review
                                               ruling.1 Where, as here, the final rule                 are used in this document.                               B. Paperwork Reduction Act
                                               will be signed and made available on                                                                             C. Regulatory Flexibility Act (RFA)
                                                                                                       APA Administrative Procedure Act
                                               the EPA Web site more than 30 days                      CAA Clean Air Act                                        D. Unfunded Mandates Reform Act
                                               before the effective date, but where the                CBI Confidential Business Information                       (UMRA)
                                               publication is likely to be delayed due                 CFR Code of Federal Regulations                          E. Executive Order 13132: Federalism
                                               to the complexity and length of the rule,               CH4 methane                                              F. Executive Order 13175: Consultation
                                               the regulated entities are afforded this                CO2 carbon dioxide                                          and Coordination With Indian Tribal
                                                                                                       CRA Congressional Review Act                                Governments
                                               reasonable amount of time. We balance                                                                            G. Executive Order 13045: Protection of
                                               these circumstances with the need for                   DOT Department of Transportation
                                                                                                       EPA U.S. Environmental Protection Agency                    Children From Environmental Health
                                               the amendments to be effective by                                                                                   Risks and Safety Risks
                                                                                                       FR Federal Register
                                               January 1, 2017; a delayed effective date               GHG greenhouse gas                                       H. Executive Order 13211: Actions
                                               would result in regulatory uncertainty,                 GHGRP Greenhouse Gas Reporting Program                      Concerning Regulations That
                                               program disruption, and an inability to                 GRI Gas Research Institute                                  Significantly Affect Energy Supply,
                                               have the amendments effective for the                   ICR Information Collection Request                          Distribution or Use
                                               2017 reporting year. Accordingly, we                    LNG liquefied natural gas                                I. National Technology Transfer and
                                               find good cause exists to make this rule                NAICS North American Industry                               Advancement Act
                                                                                                         Classification System                                  J. Executive Order 12898: Federal Actions
                                               effective on January 1, 2017, consistent                                                                            to Address Environmental Justice in
                                               with the purposes of APA section                        NSPS New Source Performance Standards
                                                                                                       NTTAA National Technology Transfer and                      Minority Populations and Low-Income
                                               553(d)(3).                                                Advancement Act                                           Populations
                                                  Judicial Review. Under CAA section                   OGI optical gas imaging                                  K. Congressional Review Act
                                               307(b)(1), judicial review of this final                OMB Office of Management and Budget
                                               rule is available only by filing a petition             ppmv parts per million by volume
                                                                                                                                                             I. Background
                                               for review in the U.S. Court of Appeals                 PRA Paperwork Reduction Act                           A. Organization of This Preamble
                                               for the District of Columbia Circuit (the               RFA Regulatory Flexibility Act
                                               Court) by January 30, 2017 Under CAA                    U.S. United States                                       Section I of this preamble provides
                                               section 307(d)(7)(B), only an objection                 UMRA Unfunded Mandates Reform Act                     background information regarding the
                                               to this final rule that was raised with                 VOC volatile organic compounds                        origin of the final amendments. This
                                                                                                       WWW Worldwide Web                                     section also discusses the EPA’s legal
                                               reasonable specificity during the period
                                               for public comment can be raised during                   Organization of This Document. The                  authority under the CAA to promulgate
                                               judicial review. Section 307(d)(7)(B) of                following outline is provided to aid in               and amend 40 CFR part 98 of the
                                               the CAA also provides a mechanism for                   locating information in this preamble.                Greenhouse Gas Reporting Rule
                                               the EPA to convene a proceeding for                                                                           (hereafter referred to as ‘‘part 98’’) as
                                                                                                       I. Background
                                               reconsideration, ‘‘[i]f the person raising                 A. Organization of This Preamble
                                                                                                                                                             well as the legal authority for making
                                               an objection can demonstrate to the EPA                    B. Background on This Action                       confidentiality determinations for the
                                               that it was impracticable to raise such                    C. Legal Authority                                 data to be reported. Section II of this
                                               objection within [the period for public                    D. How do these amendments apply to                preamble contains information on the
                                               comment] or if the grounds for such
                                                                                                            2016 and 2017 reports?                           final amendments to part 98, subpart W
                                                                                                       II. Summary of Final Revisions and Other              (Petroleum and Natural Gas Systems)
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                                               objection arose after the period for                         Amendments to Subpart W and
                                               public comment (but within the time                                                                           (hereafter referred to as ‘‘subpart W’’),
                                                                                                            Responses to Public Comment                      including a summary of the major
                                               specified for judicial review) and if such                 A. Summary of Final Amendments—
                                               objection is of central relevance to the                     General
                                                                                                                                                             comments that the EPA considered in
                                                                                                          B. Summary of Final Amendments to the              the development of this final rule.
                                                 1 Omnipoint Corp. v. FCC, 78 F3d 620, 630 (D.C.            Requirement To Use the Calculation               Section III of this preamble discusses
                                               Cir. 1996), quoting U.S. v. Gavrilovic, 551 F.2d             Methodology Based on Equipment Leak              the final confidentiality determinations
                                               1099, 1105 (8th Cir. 1977).                                  Surveys                                          for new or substantially revised data


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                                               86492        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               reporting elements. Section IV of this                  2015, the Obama administration                          amount of time each component was
                                               preamble discusses the impacts of the                   provided additional direction to the                    assumed to be leaking and multiply that
                                               final amendments to subpart W. Finally,                 EPA to ‘‘explore potential regulatory                   by the concentration of the methane
                                               section V of this preamble describes the                opportunities for applying remote                       (CH4) and carbon dioxide (CO2) in the
                                               statutory and executive order                           sensing technologies and other                          gas and the applicable emission factor
                                               requirements applicable to this action.                 innovations in measurement and                          (referred to as a ‘‘leaker emission
                                                                                                       monitoring technology to further                        factor’’), listed in Table W–1E and Table
                                               B. Background on This Action
                                                                                                       improve the identification and                          W–2 through Table W–7, to calculate
                                                 The EPA’s GHGRP requires annual                       quantification of emissions’’ in the oil                emissions. Finally, 40 CFR 98.236
                                               reporting of GHG data and other                         and natural gas sector, such as the                     specifies the data elements that must be
                                               relevant information from large sources                 emissions submitted as part of GHGRP                    reported to the EPA.
                                               and suppliers in the United States. On                  annual reporting.4                                         On January 29, 2016, the EPA
                                               October 30, 2009, the EPA published                       Under subpart W, GHGs that must be                    proposed ‘‘Leak Detection Methodology
                                               part 98 in the Federal Register (FR) for                reported by each industry segment and                   Revisions and Confidentiality
                                               collecting information regarding GHG                    applicable source types are specified in                Determinations for Petroleum and
                                               emissions from a broad range of                         40 CFR 98.232, including equipment                      Natural Gas Systems’’ (81 FR 4987) to
                                               industry sectors (74 FR 56260).                         leaks from listed component types. In                   add new monitoring methods for
                                               Although reporting requirements for                     order to fulfill these equipment leak                   detecting leaks from oil and gas
                                               petroleum and natural gas systems were                  emissions reporting requirements,
                                               originally proposed to be part of part 98                                                                       equipment, to revise which industry
                                                                                                       reporters must utilize one of two
                                               (74 FR 16448, April 10, 2009), the final                                                                        segments and sources use the
                                                                                                       calculation methodologies 5 to calculate
                                               October 2009 rulemaking did not                                                                                 calculation methodology based on
                                                                                                       GHG emissions from equipment leaks as
                                               include the petroleum and natural gas                                                                           equipment leak surveys or the
                                                                                                       specified in 40 CFR 98.233: (1)
                                               systems source category as one of the 29                                                                        calculation methodology based on
                                                                                                       Calculation methodology based on
                                               source categories for which reporting                                                                           population counts, to clarify how the
                                                                                                       equipment leak surveys (40 CFR
                                               requirements were finalized. The EPA                                                                            definition of fugitive emission
                                                                                                       98.233(q)), or (2) calculation
                                               re-proposed subpart W in 2010 (75 FR                                                                            components in the new source
                                                                                                       methodology based on population
                                               18608; April 12, 2010), and a                                                                                   performance standards (NSPS) for the
                                                                                                       counts (40 CFR 98.233(r).6 For example,
                                               subsequent final rulemaking was                                                                                 oil and natural gas sector (40 CFR part
                                                                                                       facilities in the Onshore Natural Gas
                                               published on November 30, 2010, with                    Processing and Onshore Natural Gas                      60, subpart OOOOa, at 81 FR 35824)
                                               the requirements for the petroleum and                  Transmission Compression industry                       (hereafter referred to as the ‘‘NSPS
                                               natural gas systems source category at                  segments use the calculation                            subpart OOOOa’’) aligns with the
                                               40 CFR part 98, subpart W (75 FR                        methodology based on equipment leak                     equipment components subject to
                                               74458). Following promulgation, the                     surveys for most components at their                    subpart W, to add leaker emission
                                               EPA finalized several actions revising                  facilities. If 40 CFR 98.233(q) specifies               factors for multiple industry segments,
                                               subpart W (76 FR 22825, April 25, 2011;                 that an equipment leak survey is                        and to add reporting requirements and
                                               76 FR 53057, August 25, 2011; 76 FR                     required for the subsection of listed                   confidentiality determinations for new
                                               59533, September 27, 2011; 76 FR                        component types in 40 CFR 98.232,                       or substantially revised data elements.
                                               80554, December 23, 2011; 77 FR 51477,                  reporters must use one of the                           Under those proposed amendments,
                                               August 24, 2012; 78 FR 25392, May 1,                    monitoring methods specified in 40 CFR                  facilities with fugitive emissions
                                               2013; 78 FR 71904, November 29, 2013;                   98.234 when conducting those                            components at a well site or compressor
                                               79 FR 70352, November 25, 2014; 80 FR                   equipment leak surveys to detect                        station subject to the NSPS subpart
                                               64262, October 22, 2015).2                              leaking components at the facility. The                 OOOOa would use data derived from
                                                 The Strategy to Reduce Methane                        calculation methodology based on                        the NSPS subpart OOOOa fugitive
                                               Emissions in the President’s Climate                    equipment leak surveys requires that the                emissions requirements (i.e., which
                                               Action Plan summarizes the sources of                   reporter then determine the total                       components were determined to have
                                               CH4 emissions, commits to new steps to                                                                          fugitive emissions) along with the
                                               cut emissions of this potent GHG, and                      4 FACT SHEET: Administration Takes Steps             subpart W leaker emission factors to
                                               outlines the Administration’s efforts to                Forward on Climate Action Plan by Announcing            calculate and report GHG emissions to
                                               improve the measurement of these                        Actions to Cut Methane Emissions. The White             the GHGRP. The proposed revisions
                                                                                                       House, Office of the Press Secretary, January 14,
                                               emissions. The strategy builds on                       2015. Available at https://www.whitehouse.gov/the-
                                                                                                                                                               provided the opportunity for owners
                                               progress to date and takes steps to                     press-office/2015/01/14/fact-sheet-administration-      and operators of sources not subject to
                                               further cut CH4 emissions from several                  takes-steps-forward-climate-action-plan-anno-1.         the NSPS subpart OOOOa well site or
                                               sectors, including the oil and natural gas                 5 Throughout this preamble, the term ‘‘calculation
                                                                                                                                                               compressor station fugitive emissions
                                                                                                       methodology’’ refers to the procedures used to
                                               sector. In the strategy, the EPA was                    calculate emissions (e.g., ‘‘calculation methodology
                                                                                                                                                               standards (e.g., sources participating in
                                               specifically tasked with continuing to                  based on equipment leak surveys’’ refers to the         a voluntarily implemented program)
                                               review GHGRP regulatory requirements                    methodology described in 40 CFR 98.233(q)) and          and not already required to conduct leak
                                               to address potential gaps in coverage,                  ‘‘monitoring method’’ refers to the technology, test    surveys under subpart W to optionally
                                                                                                       method, or other method of determining whether an
                                               improve methods, and ensure high                        individual component is leaking (see 40 CFR
                                                                                                                                                               use the calculation methodology at 40
                                               quality data reporting.3 On January 14,                 98.234(a)). The term ‘‘leak detection method’’ that     CFR 98.233(q) to calculate and report
                                                                                                       is used in the 40 CFR part 98 subpart W regulatory      their GHG emissions to the GHGRP. The
                                                  2 See Greenhouse Gas Reporting Program,              text has the same meaning as ‘‘monitoring method’’      EPA also proposed that facilities that are
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                                               Historical Rulemakings. Available at https://           used in this preamble.
                                               www.epa.gov/ghgreporting/rulemaking-notices-ghg-           6 Reporters using the calculation methodology
                                                                                                                                                               already required to conduct leak surveys
                                               reporting.                                              based on population counts determine the total          under subpart W would be able to use
                                                  3 Climate Action Plan—Strategy to Reduce             number of all components in the facility and            the newly proposed monitoring
                                               Methane Emissions. The White House, Washington,         multiply that count by the average estimated time       method(s) in 40 CFR 98.234. In
                                               DC, March 2014. Available at http://                    of operation, the concentration of the CH4 and CO2
                                               www.whitehouse.gov/sites/default/files/                 in the gas, and the applicable emission factor
                                                                                                                                                               addition, the EPA proposed new
                                               strategy_to_reduce_methane_emissions_2014-03-           (referred to as a ‘‘population emission factor’’) to    reporting requirements for all reporters
                                               28_final.pdf.                                           calculate emissions.                                    using the calculation methodology


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                                                            Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                             86493

                                               based on equipment leak surveys and                     As stated in the preamble to the 2009                 provides a summary of the final
                                               proposed to require reporters using the                 final GHG reporting rule (74 FR 56260;                amendments to the subpart W reporting
                                               calculation methodology for the first                   October 30, 2009), CAA section                        requirements. The amendments
                                               time to begin reporting the information                 114(a)(1) provides the EPA broad                      described in each section are followed
                                               associated with that methodology.                       authority to require the information to               by a summary of the major comments on
                                               Finally, the EPA proposed                               be gathered by this rule because such                 those amendments and the EPA’s
                                               confidentiality determinations for nine                 data will inform and are relevant to the              responses. See ‘‘Response to Public
                                               new or substantially revised data                       EPA’s carrying out a wide variety of                  Comments on Greenhouse Gas
                                               elements. The public comment period                     CAA provisions. See the preambles to                  Reporting Rule: Leak Detection
                                               for these proposed rule amendments                      the proposed (74 FR 16448; April 10,                  Methodology Revisions and
                                               ended on March 15, 2016, following a                    2009) and final GHG reporting rule (74                Confidentiality Determinations for
                                               15-day extension of the original                        FR 56260; October 30, 2009) for further               Petroleum and Natural Gas Systems’’ in
                                               comment period end date (81 FR 9797;                    information.                                          Docket ID No. EPA–HQ–OAR–2015–
                                               February 26, 2016). On June 3, 2016, the                   In addition, pursuant to sections 114,             0764 for a complete listing of all
                                               EPA published the final NSPS subpart                    301, and 307 of the CAA, the EPA is                   comments and the EPA’s responses.
                                               OOOOa requirements (81 FR 35824).                       publishing final confidentiality
                                                  In this action, the EPA is finalizing                determinations for the new or                         A. Summary of Final Amendments—
                                               revisions to subpart W largely as                       substantially revised data elements                   General
                                               proposed, with some changes made after                  required by these amendments. Section                 1. Summary of Final Amendments
                                               consideration of public comments.                       114(c) requires that the EPA make                        In this action, the EPA is amending
                                               Summaries of significant comments                       information obtained under section 114                subpart W to add new monitoring
                                               submitted on the proposed amendments                    available to the public, except for                   methods for detecting leaks from oil and
                                               and the EPA’s responses to those                        information (excluding emission data)                 gas equipment in the petroleum and
                                               comments can be found in sections II,                   that qualifies for confidential treatment.            natural gas systems source category
                                               III, and IV of this preamble. All                       The Administrator has determined that                 consistent with the NSPS subpart
                                               comments submitted on the proposed                      this action is subject to the provisions              OOOOa. The EPA is also specifying that
                                               amendments and the EPA’s additional                     of section 307(d) of the CAA. Section                 facilities with a collection of fugitive
                                               responses to the comments can be found                  307(d) contains a set of procedures                   emissions components at a well site or
                                               in ‘‘Response to Public Comments on                     relating to the issuance and review of                compressor station subject to the NSPS
                                               Greenhouse Gas Reporting Rule: Leak                     certain CAA rules.                                    subpart OOOOa (40 CFR 60.5397a)
                                               Detection Methodology Revisions and                                                                           would be required to survey those
                                                                                                       D. How do these amendments apply to
                                               Confidentiality Determinations for                                                                            components, except as otherwise
                                                                                                       2016 and 2017 reports?
                                               Petroleum and Natural Gas Systems’’ in                                                                        specified in this subpart W final rule,
                                               Docket ID No. EPA–HQ–OAR–2015–                             These amendments are effective on
                                                                                                       January 1, 2017. Starting with the 2017               for the subpart W calculation
                                               0764.                                                                                                         methodology based on equipment leak
                                                  As further detailed in the preamble to               reporting year, facilities must follow the
                                                                                                       revised methods to detect equipment                   surveys using one of the new
                                               the proposed amendments, these
                                                                                                       leaks (if applicable) and to calculate and            monitoring methods being added to
                                               revisions advance the EPA’s goal of
                                                                                                                                                             subpart W. In practice, this means that
                                               maximizing rule effectiveness by                        report their annual equipment leak
                                                                                                                                                             facilities can use the results of the NSPS
                                               providing a mechanism for facilities to                 emissions. The first annual reports of
                                                                                                                                                             subpart OOOOa-required fugitive
                                               use the NSPS subpart OOOOa                              emissions calculated using the amended
                                                                                                                                                             emissions monitoring survey to fulfill
                                               monitoring results for purposes of                      requirements will be those submitted by
                                                                                                                                                             these subpart W requirements. The EPA
                                               GHGRP subpart W reporting. This                         April 2, 2018, covering reporting year
                                                                                                                                                             is adding leaker emission factors to be
                                               alignment reduces burden for entities                   2017. For reporting year 2016, reporters
                                                                                                                                                             used in conjunction with the calculation
                                               subject to the fugitive emissions/                      will calculate emissions according to
                                                                                                                                                             methodology based on equipment leak
                                               equipment leak detection method                         the requirements in part 98 that are
                                                                                                                                                             surveys to calculate and report GHG
                                               requirements in both programs, and,                     applicable to reporting year 2016 (i.e.,
                                                                                                                                                             emissions. The revisions provide the
                                               when combined with the other                            the requirements in place until the
                                                                                                                                                             opportunity for owners and operators of
                                               amendments being finalized in this                      effective date of this final rule).
                                                                                                                                                             sources not subject to the NSPS subpart
                                               revision, provides clear monitoring
                                                                                                       II. Summary of Final Revisions and                    OOOOa well site or compressor station
                                               methods, equipment leak survey and
                                                                                                       Other Amendments to Subpart W and                     fugitive emissions standards (e.g.,
                                               calculation methodologies and emission
                                                                                                       Responses to Public Comment                           sources participating in a voluntarily
                                               factors, and reporting requirements in
                                                                                                          Sections II.A through II.F of this                 implemented program) and not already
                                               subpart W, thus enabling government,
                                                                                                       preamble describe the revisions that we               required to conduct leak surveys under
                                               regulated entities, and the public to
                                                                                                       are finalizing in this rulemaking.                    subpart W to optionally use the
                                               easily identify and understand
                                                                                                       Section II.A provides a general summary               calculation methodology at 40 CFR
                                               regulatory requirements. These
                                                                                                       of the final amendments to subpart W.                 98.233(q) to calculate and report their
                                               amendments also further advance the
                                                                                                       Section II.B describes the final                      GHG emissions, and to use the new
                                               ability of the GHGRP to provide access
                                                                                                       amendments to the requirement to use                  monitoring methods in 40 CFR 98.234 to
                                               to high quality data on GHG emissions
                                                                                                       the calculation methodology based on                  do so.
                                               by adding the ability for reporters to use                                                                       Facilities in certain subpart W
                                               data collected during equipment leak                    equipment leak surveys. Section II.C
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                                                                                                       describes the final amendments to the                 industry segments 7 that are already
                                               surveys and to perform site-specific
                                                                                                       subpart W monitoring methods. Section                 required to conduct leak surveys will be
                                               equipment leak calculations.
                                                                                                       II.D describes the final amendments for               able to use the new monitoring methods
                                               C. Legal Authority                                      component types to be surveyed.                         7 These segments are Onshore Natural Gas
                                                 The EPA is finalizing these rule                      Section II.E describes the final                      Transmission Compression, Underground Natural
                                               amendments under its existing CAA                       amendments to the subpart W leaker                    Gas Storage, LNG Storage, and LNG Import and
                                               authority provided in CAA section 114.                  emission factors. Finally, section II.F               Export Equipment.



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                                               86494        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               in 40 CFR 98.234. If they use either of                 inherently would have no formal                       or a description of the subjects and
                                               the two new monitoring methods in 40                    opportunity to meaningfully comment                   issues involved.’’ The EPA notes that
                                               CFR 98.234(a)(6) or (7) that are                        on the effect those final NSPS subpart                our process is also consistent with the
                                               consistent with the NSPS subpart                        OOOOa provisions would have on                        notice and comment requirements of the
                                               OOOOa, then in addition to surveying                    subpart W reporters. Several                          APA, 5 U.S.C. 551–559. In the preamble
                                               the components currently subject to the                 commenters stated that this created                   to the proposed and final rule, as well
                                               survey requirements in subpart W, they                  substantive and procedural flaws in the               as in ‘‘Response to Public Comments on
                                               must also survey all other components                   proposed rule, as the EPA provided                    Greenhouse Gas Reporting Rule: Leak
                                               that are fugitive emissions components                  neither the ‘‘terms or substance’’ nor a              Detection Methodology Revisions and
                                               in the NSPS subpart OOOOa, with                         ‘‘description of the subjects and issues              Confidentiality Determinations for
                                               limited exceptions, as specified in 40                  involved’’ of the proposed rule as                    Petroleum and Natural Gas Systems’’ in
                                               CFR 98.232 (see sections II.C and II.D of               required for notice and comment                       Docket ID No. EPA–HQ–OAR–2015–
                                               this preamble). If they use any of the                  rulemaking under the Administrative                   0764, the EPA describes at length the
                                               monitoring methods currently in 40 CFR                  Procedure Act, 5 U.S.C. 553(b), nor did               statement and purpose of the revisions,
                                               98.234(a)(1) through (5), then in                       the EPA meet the more stringent notice                provides explanations for any changes
                                               addition to surveying the components                    and comment requirements of CAA                       in the rule, and responds to all
                                               currently subject to the survey                         section 307. Several commenters stated                comments submitted.
                                               requirements in subpart W, they may                     that EPA similarly did not consider                      Specifically, in regards to the
                                               elect to survey the other components                    changes that might be made to the final               proposed rule referencing the then
                                               specified in 40 CFR 98.232.                             NSPS subpart OOOOa through the                        proposed NSPS subpart OOOOa
                                                  The comments received on this rule                   judicial review process.                              monitoring method(s) and fugitive
                                               generally do not dispute the merit of                      Several commenters requested that                  emissions component definition,8 the
                                               allowing the use of new monitoring                      the EPA either finalize, or re-propose or             EPA disagrees that the proposed rule
                                               methods in subpart W, but they do                       re-open the public comment period for,                did not give adequate notice and
                                               include issues related to the adequacy of               the proposed alignment of subpart W                   therefore the EPA did not re-propose or
                                               the notice and comment process, the                     with the NSPS subpart OOOOa only                      re-open the comment period for this
                                               calculation methodology based on                        after the NSPS subpart OOOOa is                       action. The proposed rule clearly laid
                                               equipment leak surveys, reporting, and                  finalized. Other commenters requested                 out the EPA’s proposal and requested
                                               applicability.                                          that the EPA withdraw the proposal to                 comment regarding alternatives, as well
                                                                                                       amend subpart W and reconsider                        as the detailed reasoning behind and
                                               2. Summary of Comments and
                                                                                                       whether any revisions are necessary                   goals of the proposal. The EPA provided
                                               Responses
                                                                                                       once the NSPS subpart OOOOa is in                     this detailed explanation to ensure that
                                                  Comment: Numerous commenters                         effect.                                               commenters had ample notice of the
                                               stated that the EPA’s reference to the                     Response: The EPA disagrees that the               revisions under consideration, and
                                               proposed NSPS subpart OOOOa                             proposed rule for this subpart W                      provided 45 days for the public
                                               included in the subpart W proposal was                  revision was premature, or substantively              comment period. This process accords
                                               premature, and substantively and                        and procedurally flawed. This action is               with proper notice and comment
                                               procedurally flawed. According to these                 focused on aligning the subpart W                     procedure. Commenters posit that
                                               commenters, by relying on a proposed                    requirements, to the extent possible,                 referencing the then proposed NSPS
                                               action, the EPA did not provide the                     with the finalized NSPS subpart OOOOa                 subpart OOOOa standard in the
                                               opportunity for notice or comment on                    fugitive emission requirements so that                proposed rule renders this notice
                                               how the rule would ultimately affect                    facilities may use the results of the                 premature and inadequate, and the EPA
                                               stakeholders. These commenters stated                   NSPS subpart OOOOa-required fugitive                  respectfully disagrees. First, in
                                               that at the very least the EPA made it                  emissions monitoring surveys to fulfill               proposing to add the NSPS subpart
                                               difficult and increased burden for                      subpart W requirements, and does so                   OOOOa equipment leak detection
                                               stakeholders to evaluate scope and                      through revisions that incorporate final              methods as approved monitoring
                                               impacts and to provide comment.                         NSPS subpart OOOOa monitoring                         methods for subpart W surveys, the EPA
                                               Commenters stated that they could only                  methods into subpart W and make their                 was not proposing to require any new
                                               comment on the effect of the                            use mandatory in subpart W surveys for                collection of data under subpart W, as
                                               incorporation of the NSPS subpart                       most components subject to NSPS                       the data on fugitive emissions
                                               OOOOa proposed requirements, as they                    subpart OOOOa. The proposed rule for                  components would already be collected
                                               could not review and comment on the                     subpart W clearly specified that only a               to meet the requirements of NSPS
                                               effect of the finalized NSPS subpart                    monitoring method finalized in the                    subpart OOOOa. Instead, the EPA
                                               OOOOa requirements on subpart W                         NSPS subpart OOOOa rule would be                      proposed to add these new monitoring
                                               prior to closure of the comment period                  finalized for subpart W, which ensured                methods under subpart W so that
                                               for the subpart W proposal. Specifically,               that no requirement would reference                   reporters would be able to use, for the
                                               the commenters expressed concern that                   any monitoring method that was merely                 purpose of compliance with the
                                               because the EPA received so many                        at proposal stage. The proposed rule                  proposed mandatory subpart W
                                               comments on the proposed NSPS                           provided adequate notice and                          equipment leak survey, calculation, and
                                               subpart OOOOa, the final NSPS subpart                   opportunity to comment on how the                     reporting requirements, whatever data
                                               OOOOa provisions would likely be                        rule will affect stakeholders, and thus               would already be collected as a result of
                                               significantly different in certain aspects              this final rule is in compliance with the             complying with the monitoring
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                                               and that those details were unknowable                  relevant requirements of CAA section                  method(s) that would be finalized in the
                                               at the time of comment. Noting that the                 307(d). Multiple commenters cited the                 NSPS subpart OOOOa. Similarly, while
                                               EPA expressed intent in the preamble to                 Administrative Procedure Act (APA),                   the EPA proposed to include all fugitive
                                               the subpart W proposed amendments to                    including 5 U.S.C. 553(b)(3), which                   emissions components subject to the
                                               incorporate the final NSPS subpart                      requires that a notice of proposed
                                               OOOOa provisions in the final subpart                   rulemaking shall include ‘‘either the                    8 The NSPS subpart OOOOa rule has since been

                                               W rule, the commenters stated they                      terms or substance of the proposed rule               finalized. 81 FR 35824 (June 3, 2016).



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                                                            Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                               86495

                                               final NSPS subpart OOOOa monitoring                     current subpart W and the final NSPS                    definition, those substantive changes are
                                               methods within subpart W emissions                      subpart OOOOa,9 necessitating this                      out of scope of this subpart W
                                               reporting requirements, with some                       revision, current use of OGI and Method                 rulemaking that is intended to align
                                               exceptions, which would mean that                       21 for purposes of subpart W provides                   with the final NSPS subpart OOOOa
                                               additional components would fall                        support that the methods at issue                       requirements; however, commenters
                                               within the scope of subpart W                           provide reliable data for use in subpart                were provided full notice and
                                               applicability, these data would already                 W emissions reporting.                                  opportunity to comment within that
                                               be collected under the NSPS subpart                        This final rule incorporates the                     NSPS subpart OOOOa rulemaking, as
                                               OOOOa, meaning that no new data                         monitoring methods finalized in the                     fully explained within those proposed
                                               would need to be collected for subpart                  NSPS subpart OOOOa with some                            and final preambles, the EPA’s response
                                               W that was not already required by                      changes from proposal. To the extent                    to comments, and the docket of that
                                               another CAA program. As such, the                       the specifics of how this final subpart W               action.10
                                               substance of the monitoring method(s)                   rule is adding method(s) in accordance                    The commenter is correct that the
                                               and fugitive emission component                         with the NSPS subpart OOOOa differ                      EPA did not consider changes that may
                                               definition was not at issue for purposes                from the specifics in the subpart W                     be made to the final NSPS subpart
                                               of subpart W within these revisions, as                 proposal, as explained further in section               OOOOa through the judicial review
                                               that process took place within the NSPS                 II.C of this preamble, these changes are                process. Any such potential, future
                                               subpart OOOOa rulemaking. Rather, the                   consistent with the purpose detailed in                 changes are premature to consider at
                                               EPA ensured that reporters were                         the proposed rule and were made to                      this time.
                                               provided notice of the proposal to add                  ensure only those portions of the final
                                                                                                       NSPS subpart OOOOa that are essential                   B. Summary of Final Amendments to
                                               the monitoring methods and scope of
                                                                                                       to the integrity of the methods are                     the Requirement To Use the Calculation
                                               components that would be finalized
                                                                                                       referenced within the requirements of                   Methodology Based on Equipment Leak
                                               under the NSPS OOOOa as additional
                                                                                                       subpart W. This final rule revises                      Surveys
                                               monitoring methods and applicable
                                               components for subpart W, provided                      applicable components subject to                        1. Summary of Final Amendments
                                               notice of the proposed additional                       subpart W to include all components
                                                                                                       subject to the final NSPS subpart                          As noted in section I.B of this
                                               subpart W equipment leak survey,                                                                                preamble, subpart W presently requires
                                               calculation, and reporting requirements                 OOOOa, except for the finalized as
                                                                                                       proposed exclusion of certain                           reporters with sources in certain
                                               for equipment components subject to                                                                             industry segments to use the calculation
                                               the NSPS subpart OOOOa, and made                        components, as further detailed in
                                                                                                       section II.D of this preamble. The EPA                  methodology based on population
                                               clear that the intent of these revisions                                                                        counts according to 40 CFR 98.233(r).
                                               was to align the programs so that                       notes that while we finalized the
                                                                                                       reference to the NSPS subpart OOOOa                     For example, reporters in the Onshore
                                               reporters would use the data gathered in                                                                        Petroleum and Natural Gas Production
                                               complying with the finalized NSPS                       with certain exceptions regarding
                                                                                                       applicable components as proposed, the                  and the Onshore Petroleum and Natural
                                               subpart OOOOa to comply with their                                                                              Gas Gathering and Boosting industry
                                               subpart W requirements. The proposed                    final NSPS subpart OOOOa definition of
                                                                                                       fugitive emission components was                        segments are required either to count
                                               rule further explained the purpose                                                                              the number of equipment components
                                               behind this proposed revision, as                       narrower in scope than that rule’s
                                                                                                       proposal. This final rule also includes                 of each type (e.g., valve, connector,
                                               detailed in the proposed rule (81 FR                                                                            open-ended line, or pressure relief
                                                                                                       revisions, with some changes from
                                               4987; January 29, 2016), including                                                                              valve) or to count the number of major
                                                                                                       proposal as detailed in Sections II.B,
                                               reducing burden on reporters by                                                                                 equipment at the facility and then
                                                                                                       II.D, II.E, and II.F of this preamble, to
                                               minimizing the potential equipment                                                                              calculate the number of equipment
                                                                                                       how reporters must use the data
                                               leak surveys required at a given facility                                                                       components of each type using default
                                                                                                       obtained in accordance with the
                                               across CAA programs. As noted earlier,                                                                          average component counts for each
                                                                                                       methods finalized in the NSPS subpart
                                               the proposed rule for subpart W clearly                                                                         piece of major equipment in Tables W–
                                                                                                       OOOOa for subpart W reporting.
                                               specified that only a monitoring method                    Although the EPA’s own reasoned                      1B and W–1C to subpart W (40 CFR
                                               finalized in the NSPS subpart OOOOa                     consideration and its assessment of                     98.233(r)(2)). The resulting equipment
                                               rule would be finalized for subpart W,                  public comment have resulted in some                    component counts are then multiplied
                                               which ensured that no requirement                       modifications to the final rule, as                     by default ‘‘population emission
                                               would reference any monitoring method                   explained further in sections II.B                      factors’’ in Table W–1A to subpart W to
                                               that was merely at proposal stage. In                   through II.F of this preamble, such                     calculate emissions from equipment
                                               fact, the proposed rule for subpart W                   changes reflect the goals and                           leaks.
                                               clearly detailed the NSPS subpart                       alternatives in the EPA’s original                         Other reporters are required to use the
                                               OOOOa proposed monitoring method,                       proposal, and the proposed rule ensured                 calculation methodology based on
                                               and identified that the NSPS subpart                    that interested parties were ‘‘fairly                   equipment leak surveys according to 40
                                               OOOOa proposal included a potential                     apprised’’ of the elements ultimately                   CFR 98.233(q) using one of the
                                               alternative monitoring method, and                      included in this final rulemaking. See,                 monitoring methods in 40 CFR
                                               furthermore explained that any                          e.g., United Steelworkers of America v.                 98.234(a). For example, reporters in the
                                               method(s) added in this final subpart W                 Schuylkill Metals, 828 F.2d 314 (5th Cir.               Onshore Natural Gas Transmission
                                               action would be the method(s) that were                 1987).                                                  Compression industry segment must
                                               finalized in the NSPS subpart OOOOa.                       While some changes occurred to the                   conduct at least one equipment leak
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                                                  Furthermore, Subpart W currently                     NSPS subpart OOOOa requirements                         survey in a calendar year for the
                                               includes an optical gas imaging (OGI)                   from proposal to final in that                          compressor and non-compressor
                                               method (see 40 CFR 98.234(a)(1)) and                    rulemaking, including changes to the                    components in gas service listed in
                                               Method 21 (40 CFR 98.234(a)(2)) in the                  substance of the monitoring methods                     Table W–3A to subpart W. These
                                               subpart W list of monitoring methods.                   and the fugitive emission component                     reporters then use the number of leaking
                                               While there are differences in the
                                               application of the methods between the                    9 See   section II.C of this preamble.                  10 Docket   ID No. EPA–HQ–OAR–2010–0505.



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                                               86496           Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               components in the calendar year, the                       subpart OOOOa well site or compressor                 98.233(q)(1)(iv)) in lieu of the
                                               average amount of time each component                      station fugitive emissions standards),12              calculation methodology based on
                                               was leaking, and the default ‘‘leaker                      the amended subpart W requirements                    population counts (40 CFR 98.233(r)). If
                                               emission factors’’ in Table W–3A to                        depend on whether the component                       this option is selected, then the reporter
                                               subpart W to calculate emissions                           types are currently required to be                    must use any of the monitoring methods
                                               according to Equation W–30.                                reported using the calculation                        in 40 CFR 98.234(a). If they use a
                                                  The EPA is finalizing the proposal to                   methodology based on equipment leak                   monitoring method in 40 CFR
                                               apply the calculation methodology                          surveys (40 CFR 98.233(q)) or the                     98.234(a)(6) or (7), then they must
                                               based on equipment leak surveys in 40                      calculation methodology based on                      survey all components that would
                                               CFR 98.233(q) to additional reporters in                   population counts (40 CFR 98.233(r)).                 otherwise be subject to the calculation
                                               subpart W. Specifically, reporters in any                  For components at facilities in industry              methodology based on population
                                               subpart W industry segment with a well                     segments that are currently required to               counts, and they must also survey all
                                               site(s) and/or compressor station(s)                       use the calculation methodology based                 other components that are fugitive
                                               required to conduct fugitive emissions                     on equipment leak surveys to comply                   emissions components in the NSPS
                                               monitoring to comply with the NSPS                         with subpart W, the EPA is finalizing as              subpart OOOOa, with limited
                                               subpart OOOOa will be required to use                      proposed that reporters must continue                 exceptions, as specified in 40 CFR
                                               the calculation methodology based on                       to conduct equipment leak surveys as                  98.232. If they use any of the monitoring
                                               equipment leak surveys for those                           required by subpart W but may use any                 methods currently in 40 CFR
                                               components 11 under subpart W using                        monitoring method in 40 CFR 98.234(a).                98.234(a)(1) through (5), then in
                                               the new monitoring methods consistent                      If they use either of the two new                     addition to surveying the components
                                               with the NSPS subpart OOOOa (see                           monitoring methods in 40 CFR                          that would otherwise be subject to the
                                               section II.C of this preamble). While                      98.234(a)(6) or (7) that are consistent               calculation methodology based on
                                               these are new calculation methodology                      with the NSPS subpart OOOOa, then in                  population counts, they may elect to
                                               and equipment leak survey                                  addition to surveying the components                  survey the other specified in 40 CFR
                                               requirements for the subpart W                             currently subject to the survey                       98.232. The intent of the new provision
                                               reporting of these components, reporters                   requirements in subpart W, they must                  in 40 CFR 98.233(q)(1)(iv) is to allow
                                               may meet the survey requirements by                        also survey all other components that                 flexibility for reporters currently
                                               counting the actual number of                              are fugitive emissions components in                  required to use the calculation
                                               components with fugitive emissions                         the NSPS subpart OOOOa, with limited                  methodology based on population
                                               identified through implementation of                       exceptions, as specified in 40 CFR                    counts for components that are not
                                               the NSPS subpart OOOOa as leaks for                        98.232 (see sections II.C and II.D of this            subject to the NSPS subpart OOOOa
                                               purposes of subpart W and use those                        preamble). If they use any of the                     well site or compressor station fugitive
                                               counts with the calculation                                monitoring methods currently in 40 CFR                emissions standards.
                                               methodologies specified in 40 CFR                          98.234(a)(1) through (5), then in                        The burden of using the calculation
                                               98.233(q) to determine equipment leak                      addition to surveying the components                  methodology based on equipment leak
                                               emissions for those components.                            currently subject to the survey                       surveys will be similar to using the
                                                  We received extensive comment                           requirements in subpart W, they may                   existing subpart W calculation
                                               regarding the proposed revisions to                        elect to survey the other components                  methodology based on population
                                               require facilities in the Onshore Natural                  specified in 40 CFR 98.232.                           counts, and the results will be more
                                               Gas Processing industry segment to use                        For components at facilities in                    representative of the number of leaks at
                                               the results of the leak surveys                            industry segments that are currently                  the facility than the calculation
                                               conducted to comply with the NSPS                          required to use the calculation                       methodology based on population
                                               subpart OOOOa equipment leak                               methodology based on population                       counts. Table 2 of this preamble
                                               requirements for reporting under                           counts, the reporter may continue to use              provides a summary of the equipment
                                               subpart W. We are still reviewing those                    that methodology. Alternatively, the                  leak calculation methodologies and
                                               comments and are not taking final                          EPA is finalizing as proposed the option              monitoring methods that will be
                                               action on those revisions at this time.                    that the reporter may elect to use the                available to each industry segment
                                                  For other sources of equipment leaks                    calculation methodology based on                      covered by subpart W under these
                                               (i.e., those not subject to the NSPS                       equipment leak surveys (40 CFR                        amendments.

                                                                                        TABLE 2—FINAL EQUIPMENT LEAK REQUIREMENTS FOR SUBPART W
                                                                                    Components subject to 40 CFR 60.5397a of the NSPS                   Components not subject to 40 CFR 60.5397a of the
                                                                                                    subpart OOOOa                                                   NSPS subpart OOOOa
                                                   Subpart W industry
                                                      segments a                        Subpart W calculation         Subpart W monitoring               Subpart W calculation     Subpart W monitoring
                                                                                           methodology b             method for leak detection c            methodology           method for leak detection d

                                               Onshore Petroleum and               Leak survey (40 CFR               OGI or Method 21 as               Leak survey (40 CFR        Any method in 40 CFR
                                                Natural Gas Production.              98.233(q)).                      specified in the NSPS              98.233(q)); OR             98.234(a).
                                                                                                                      subpart OOOOa.                   Population count (40 CFR   N/A.
                                                                                                                                                         98.233(r)).
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                                               Onshore Natural Gas         Leak survey (40 CFR                       OGI or Method 21 as               Leak survey (40 CFR        Any method in 40 CFR
                                                Transmission Compres-        98.233(q)).                              specified in the NSPS              98.233(q)) e.              98.234(a).
                                                sion; Underground Nat-                                                subpart OOOOa.
                                                ural Gas Storage: Stor-
                                                age stations, gas service.


                                                 11 See   section II.D of this preamble.                    12 Except for onshore natural gas processing and

                                                                                                          natural gas distribution.


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                                                             Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                          86497

                                                                           TABLE 2—FINAL EQUIPMENT LEAK REQUIREMENTS FOR SUBPART W—Continued
                                                                                  Components subject to 40 CFR 60.5397a of the NSPS                  Components not subject to 40 CFR 60.5397a of the
                                                                                                  subpart OOOOa                                                  NSPS subpart OOOOa
                                                   Subpart W industry
                                                      segments a                     Subpart W calculation         Subpart W monitoring               Subpart W calculation     Subpart W monitoring
                                                                                        methodology b             method for leak detection c            methodology           method for leak detection d

                                               Underground Natural Gas           Leak survey (40 CFR              OGI or Method 21 as               Leak survey (40 CFR        Any method in 40 CFR
                                                 Storage: Storage                  98.233(q)).                     specified in the NSPS              98.233(q)); OR             98.234(a).
                                                 wellheads, gas service.                                           subpart OOOOa.                   Population count (40 CFR   N/A.
                                                                                                                                                      98.233(r)).
                                               LNG f Storage: LNG Serv-          Leak survey (40 CFR              OGI or Method 21 as               Leak survey (40 CFR        Any method in 40 CFR
                                                 ice; LNG Import and Ex-           98.233(q)).                     specified in the NSPS              98.233(q)).                98.234(a).
                                                 port Equipment: LNG                                               subpart OOOOa.
                                                 Service.
                                               LNG Storage: Gas Service;         Leak survey (40 CFR              OGI or Method 21 as               Leak survey (40 CFR        Any method in 40 CFR
                                                 LNG Import and Export             98.233(q)).                     specified in the NSPS              98.233(q)); OR             98.234(a).
                                                 Equipment: Gas Service.                                           subpart OOOOa.                   Population count (40 CFR   N/A.
                                                                                                                                                      98.233(r)) g.
                                                 a Onshore Natural Gas Processing and Natural Gas Distribution are not included in this table because we are not revising the calculation meth-
                                               odology and monitoring method for leak detection for these industry segments in this action. The current requirements are still applicable to com-
                                               ponents in these industry segments.
                                                 b The term ‘‘calculation methodology’’ refers to the procedures used to calculate emissions (e.g., ‘‘calculation methodology based on equipment
                                               leak surveys’’ refers to the methodology described in 40 CFR 98.233(q)) and ‘‘monitoring method’’ refers to the technology, test method, or other
                                               method of determining whether an individual component is leaking (see 40 CFR 98.234(a)).
                                                 c OGI as specified in the NSPS subpart OOOOa is codified in subpart W at 40 CFR 98.234(a)(6) and Method 21 as specified in the NSPS
                                               subpart OOOOa is codified in subpart W at 40 CFR 98.234(a)(7).
                                                 d ‘‘Any method in 40 CFR 98.234(a)’’ means any of the following methods: OGI as specified in 40 CFR 60.18 (40 CFR 98.234(a)(1)), Method
                                               21 with a leak definition of 10,000 parts per million by volume (ppmv)(40 CFR 98.234(a)(2)), Infrared laser beam illuminated instrument (40 CFR
                                               98.234(a)(3)), Acoustic leak detection device (40 CFR 98.234(a)(5)), OGI as specified in the NSPS subpart OOOOa (40 CFR 98.234(a)(6)) or
                                               Method 21 with a leak definition of 500 ppmv (40 CFR 98.234(a)(7)).
                                                 e Reporting is required for emissions from valves, connectors, open-ended lines, pressure relief valves, and meters but is optional for instru-
                                               ments and other components unless the reporter elects to use either OGI or Method 21 as specified in the NSPS subpart OOOOa (40 CFR
                                               98.234(a)(6) or (7)), in which case reporting is also required for instruments and other fugitive emissions components.13
                                                 f LNG = liquefied natural gas.
                                                 g Reporting is only required for emissions from vapor recovery compressors if this option is chosen.




                                               2. Summary of Comments and                               addition, the commenters stated that the             allow the EPA to assess the performance
                                               Responses                                                equipment leak survey results will be                of facilities over time.
                                                                                                        internally inconsistent if they use                     Response: For facilities that have
                                                  Comment: Several commenters stated                    different methods, and a facility’s
                                               that facilities in the Onshore Petroleum                                                                      affected sources required to conduct
                                                                                                        emissions could appear to increase one               fugitive emissions monitoring to comply
                                               and Natural Gas Production and                           year simply because the number of sites
                                               Onshore Petroleum and Natural Gas                                                                             with the NSPS subpart OOOOa well site
                                                                                                        subject to the NSPS subpart OOOOa                    or compressor station fugitive emissions
                                               Gathering and Boosting industry                          increases, requiring the reporter to use
                                               segments should not be required to use                                                                        standards, the EPA is finalizing as
                                                                                                        the OGI method in the NSPS subpart
                                               the NSPS subpart OOOOa results to                                                                             proposed that these components must
                                                                                                        OOOOa for an increased number of
                                               calculate GHG emissions to comply                                                                             meet the subpart W calculation
                                                                                                        components. Instead, the reporters
                                               with subpart W. They stated that the                                                                          methodology based on equipment leak
                                                                                                        suggested, use of the calculation
                                               proposed NSPS subpart OOOOa leak                         methodology based on equipment leak                  survey requirements. In practice, this
                                               detection program was limited to one                     surveys, including the selection of                  means reporters can meet these
                                               monitoring method, which is                              monitoring method within 40 CFR                      requirements by counting the actual
                                               inconsistent with the current flexibility                98.234(a), should be voluntary for all               number of components with fugitive
                                               for reporters conducting equipment leak                  facilities not currently required to                 emissions identified through
                                               surveys for subpart W to choose any                      conduct leak surveys under subpart W.                implementation of the NSPS subpart
                                               monitoring method within 40 CFR                                                                               OOOOa as leaks for purposes of subpart
                                               98.234(a). The commenters asserted that                    In contrast, another commenter                     W. This requirement will achieve the
                                               this requirement will result in some                     requested that the EPA require all                   EPA’s stated goal of alignment with the
                                               subpart W reporters having to manage                     subpart W reporters to detect leaks
                                                                                                                                                             NSPS subpart OOOOa and will assist in
                                               multiple equipment leak survey                           using direct equipment leak detection
                                                                                                                                                             providing the EPA with a greater
                                               programs within one facility, especially                 technologies such as OGI. The
                                                                                                                                                             understanding of emission reductions.
                                               if the facility is located within a state                commenter stated that leak detection
                                                                                                        using OGI can produce more accurate                     At this time, we are not requiring all
                                               with a different leak detection program,
                                                                                                        data than current subpart W methods                  subpart W facilities to perform a leak
                                               and this result is overly burdensome. In
                                                                                                        and that the EPA’s approach is                       detection survey using direct equipment
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                                                 13 See section II.D.1 of this preamble for the EPA’s   consistent with the EPA’s stated goals to            leak detection technologies such as OGI.
                                               decision on the final subpart W requirements for         enhance the rigor and transparency of                Rather this action is focused on aligning
                                               components not subject to 40 CFR 60.5397a of the         subpart W data. In addition, the                     the subpart W requirements, to the
                                               NSPS Subpart OOOOa from affected facilities in the       commenter stated that applying OGI                   extent possible, with the NSPS subpart
                                               Onshore Natural Gas Transmission Compression
                                               industry segment, and storage stations in gas service
                                                                                                        detection uniformly across subpart W                 OOOOa fugitive emission requirements
                                               within the Underground Natural Gas Storage               sources will produce data that is readily            so that facilities may use the results of
                                               industry segment.                                        comparable across facilities and will                the NSPS subpart OOOOa-required


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                                               86498        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               fugitive emissions monitoring surveys to                below, the final amendments to subpart                all fugitive emissions components are
                                               fulfill subpart W requirements.                         W for the OGI method cross-reference a                within sight of the path; and (3) a
                                                 The EPA does not agree that a subpart                 portion of the NSPS subpart OOOOa                     monitoring plan for difficult-to-monitor
                                               W requirement to use the results of a                   requirements to develop the fugitive                  and unsafe-to-monitor fugitive
                                               previously completed leak survey                        emissions monitoring plan and the                     emissions components. The EPA has
                                               within the subpart W calculation                        NSPS subpart OOOOa requirements to                    reviewed these elements as well and
                                               methodology based on equipment leak                     observe each fugitive emissions                       determined not to cross-reference these
                                               surveys will result in an undue burden                  component for fugitive emissions.                     three elements in subpart W. The
                                               to these reporters. For components                         The final NSPS subpart OOOOa                       observation path and the sitemap ensure
                                               subject to the NSPS subpart OOOOa                       requires an emissions monitoring plan                 that the OGI operator visualizes all of
                                               well site or compressor station fugitive                that covers the affected sources within               the components that must be surveyed,
                                               emissions standards, there is little to no              each company-defined area. This                       analogous to requirements in some rules
                                               burden associated with using the                        monitoring plan includes information                  to identify all of the equipment that
                                               number of components found to have                      about the survey frequency, monitoring                must be monitored using Method 21
                                               fugitive emissions as the number of                     method and instrument selected, repair                (e.g., 40 CFR 60.486a(e)(1) and 40 CFR
                                               leaking components in the subpart W                     procedures and timeframes,                            63.162(c)). Subpart W does not include
                                               calculation methodology based on                        recordkeeping, and procedures for                     these identification requirements as part
                                               equipment leak surveys. The only                        calibrating the monitoring instrument                 of the Method 21 requirements in 40
                                               additional piece of information these                   and verifying that it can detect fugitive             CFR 98.234(a)(2), so it would be
                                               reporters need to calculate emissions is                emissions at the required levels.                     inconsistent to require the observation
                                               the amount of time each component was                      For the final subpart W amendments,                path as part of the new OGI method.
                                               leaking, and this is a straightforward                  the EPA evaluated the NSPS subpart                    However, while we are not finalizing
                                               determination based on the dates of the                 OOOOa requirements for the monitoring                 the explicit requirement to define the
                                               equipment leak surveys. See section                     plan along with the level of detail in the            observation path the operator will
                                               IV.B of this preamble for information                   existing monitoring methods in 40 CFR                 follow during their survey, we do note
                                               and responses to comments related to                    98.234(a). The EPA determined that                    that 40 CFR part 98, subpart A requires
                                               the EPA’s burden estimates for these                    information about the monitoring                      a written GHG monitoring plan for all
                                               amendments.                                             instrument selected and procedures for                facilities subject to the GHGRP (see 40
                                                                                                       calibrating the monitoring instrument                 CFR 98.4(g)(5)). Defining an observation
                                               C. Summary of Final Amendments to                       and verifying that it can detect fugitive             path is one item that could be included
                                               Monitoring Methods                                      emissions at the required levels is                   in the GHG monitoring plan to meet the
                                               1. Summary of Final Amendments                          necessary to ensure the OGI monitoring                requirement to describe ‘‘procedures
                                                                                                       is performed correctly. Therefore, the                and methods that are used for quality
                                                  The EPA is finalizing the proposal to                new OGI detection method in subpart W                 assurance . . . of all . . . other
                                               add OGI, as specified in the NSPS                       does include the NSPS subpart OOOOa                   instrumentation’’ used to collect data to
                                               subpart OOOOa, to the list of                           requirement to develop a monitoring                   comply with the GHGRP (40 CFR
                                               monitoring methods in 40 CFR                            plan that describes the OGI instrument                98.3(g)(5)(i)(C)).
                                               98.234(a). The addition of this specific                (40 CFR 60.5397a(c)(3)) and how the                      The EPA is finalizing the proposed
                                               OGI method to subpart W at 40 CFR                       OGI survey will be conducted to ensure                requirement to observe each fugitive
                                               98.234(a)(6) aligns the methods in the                  that fugitive emissions can be imaged                 emissions component for fugitive
                                               two rulemakings and allows subpart W                    effectively (40 CFR 60.5397a(c)(7)). The              emissions (40 CFR 60.5397a(e)).14 The
                                               facilities to directly use information                  EPA determined that the NSPS subpart                  EPA considers surveying all fugitive
                                               derived from the implementation of the                  OOOOa survey frequency should not be                  emissions components (instead of just
                                               fugitive emissions monitoring                           cross-referenced in subpart W because                 the current list of equipment in subpart
                                               conducted under the NSPS subpart                        cross-referencing these frequencies                   W for a particular industry segment) to
                                               OOOOa to calculate and report                           would override the current annual                     be an inherent part of the NSPS subpart
                                               equipment leak emissions to the                         survey requirement in subpart W                       OOOOa OGI method.
                                               GHGRP.                                                  regardless of whether the use of the new                 The EPA is not cross-referencing the
                                                  The EPA has made changes to the                      monitoring methods is voluntary or                    semi-annual (well sites) and quarterly
                                               proposed subpart W amendments after                     mandatory. The EPA determined that                    (compressor stations) monitoring
                                               consideration of public comment and/or                  the repair procedures and timeframes                  frequencies of the final NSPS subpart
                                               to be consistent with the final revisions               should not be cross-referenced because                OOOOa. As noted above, cross-
                                               made to the corresponding proposed                      subpart W is part of a reporting program              referencing these monitoring
                                               NSPS subpart OOOOa specifications.                      and does not require repair of detected               frequencies would override the current
                                               The proposed subpart W amendments                       leaks. The EPA also determined that the               annual survey requirement in subpart W
                                               cross-referenced the proposed 40 CFR                    NSPS subpart OOOOa recordkeeping                      regardless of whether the use of the new
                                               60.5397a(b) through (e) and (g) through                 requirements should not be cross-                     monitoring methods is voluntary or
                                               (i), which included the requirements to:                referenced because they include                       mandatory. The EPA is instead
                                               (1) Develop a corporate-wide fugitive                   provisions that are not applicable to                 clarifying that for reporters with
                                               emissions monitoring plan; (2) develop                  greenhouse gas reporting, such as                     components subject to the NSPS subpart
                                               a site-specific monitoring plan; (3)                    records related to repairs. Applicable                OOOOa well site or compressor station
                                               observe each fugitive emissions                         recordkeeping requirements for all leak               fugitive emissions requirements and for
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                                               component for fugitive emissions; (4)                   detection methods in subpart W are                    which surveys are required or elected,
                                               conduct monitoring surveys                              specified at 40 CFR 98.237.                           the results from each equipment leak
                                               semiannually; and (5) adjust the                           The final site-specific monitoring plan
                                               frequency of monitoring surveys based                   in the NSPS subpart OOOOa includes                      14 See section II.D.1 of this preamble for details

                                               on the percent of the fugitive emissions                three items specific to the OGI method:               regarding the specific NSPS subpart OOOOa-
                                                                                                                                                             defined fugitive emissions components that are not
                                               components detected to have fugitive                    (1) A sitemap; (2) a defined observation              considered sources of ‘‘equipment leaks’’ in subpart
                                               emissions. For the reasons described                    path for the operator that ensures that               W.



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                                                            Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                          86499

                                               survey must be used to calculate GHG                    method, we determined that the                         NSPS subpart OOOOa well site and
                                               emissions for subpart W. The EPA is                     requirements in 40 CFR 60.5397a(b) are                 compressor station fugitive emissions
                                               further clarifying that it is not our intent            consistent with the requirements of                    monitoring requirements, so that
                                               to require reporters that are not subject               subpart W regarding the development of                 reporters can directly use the NSPS
                                               to the NSPS subpart OOOOa well site or                  an emissions monitoring plan; this                     subpart OOOOa monitoring results to
                                               compressor station fugitive emissions                   monitoring plan is required to include                 count the number of leaks under subpart
                                               requirements to conduct more than one                   verification that the procedures of                    W.
                                               equipment leak survey in a calendar                     Method 21 are followed consistent with                    Comment: Many commenters stated
                                               year for purposes of GHGRP reporting,                   the requirements in 40 CFR                             that leak detection technology is a
                                               solely because they choose to use the                   60.5397a(c)(8). Also, as with the NSPS                 rapidly growing field and there are
                                               OGI method. The EPA also notes that                     subpart OOOOa OGI method, the EPA is                   many alternative technologies and new
                                               the proposed NSPS subpart OOOOa                         requiring in subpart W observation of                  technologies in development that may
                                               provisions for adjusting the frequency of               each fugitive emissions component for                  be more accurate and less costly than
                                               equipment leak surveys based on the                     fugitive emissions consistent with the                 OGI. Some commenters noted that
                                               percent of the fugitive emissions                       requirements in 40 CFR 60.5397a(e); the                recent emphasis on CH4 emissions has
                                               components detected to have fugitive                    EPA considers surveying all fugitive                   caused vendors to focus on CH4 leak
                                               emissions were not included in the final                emissions components to be an inherent                 detection. Therefore, according to the
                                               NSPS subpart OOOOa and therefore are                    part of the NSPS subpart OOOOa                         commenters, some of those technologies
                                               not cross-referenced in the final subpart               Method 21 alternative to the OGI                       may be better options for the purpose of
                                               W revisions.                                            method and is consistent with                          reporting emissions under subpart W
                                                  Finally, consistent with the final                   requirements in subpart W to conduct a                 than other leak detection programs. The
                                               NSPS subpart OOOOa, the EPA is                          complete equipment leak survey.                        commenters stated that the EPA’s
                                               finalizing the use of Method 21 as an                     At this time, the EPA is not adding                  proposal to limit leak surveys to a
                                               alternative monitoring method to OGI                    any other monitoring methods to                        prescriptive list of methods could limit
                                               (as specified in the NSPS subpart                       subpart W. We will continue to evaluate                development of these new technologies.
                                               OOOOa) at 40 CFR 98.234(a)(7). As the                   equipment leak detection methods and                      Commenters provided a variety of
                                               EPA noted in the preamble for this                      technologies 15 and may amend subpart                  suggestions for incorporation of new
                                               proposed revision to subpart W (81 FR                   W to allow the use of additional                       and emerging technologies into subpart
                                               4989; Jan. 29, 2016), the NSPS subpart                  methods in the future.                                 W. Three commenters recommended
                                               OOOOa proposal identified EPA                                                                                  that the EPA establish a clear process for
                                                                                                       2. Summary of Comments and                             industry, vendors, and/or the EPA to
                                               Method 21 as a monitoring method that
                                                                                                       Responses                                              evaluate the efficacy and accuracy of
                                               may also be used to conduct resurveys
                                               of repaired components when fugitive                       Comment: Many commenters                            alternative CH4 monitoring technologies
                                               emissions are detected (80 FR 56612                     disagreed with the EPA’s proposal to                   and approve the use of those
                                               (well sites) and 80 FR 56612                            add only the OGI method as specified in                technologies. One of these commenters
                                               (compressor stations)), and the EPA                     the NSPS subpart OOOOa to 40 CFR                       noted that any technology evaluation
                                               requested comment on including in the                   98.234(a) of subpart W. They asserted                  process should be straightforward and
                                               final rule the use of Method 21 for                     that while OGI is an effective method                  more streamlined than the years-long
                                               fugitive emissions monitoring as well                   for finding the majority of emissions                  process needed to approve emissions
                                               (80 FR 56638 (well sites) and 80 FR                     more quickly than EPA Method 21, it is                 control devices or continuous emissions
                                               56643 (compressor stations)). The EPA                   also a costly technology that cannot                   monitoring systems. Another of these
                                               also made clear in the preamble to these                quantify emissions. The commenters                     commenters suggested that the EPA
                                               proposed revisions to subpart W that,                   stated that OGI has other limitations,                 model a technology evaluation process
                                               consistent with the goal of aligning the                especially in non-ideal weather                        after the vendor testing program for
                                               methods in the two rulemakings                          conditions; one commenter also stated                  flares and combustors, in which the
                                               (subpart W and the NSPS subpart                         that use of the OGI camera requires a                  EPA sets testing protocols and vendors
                                               OOOOa), the EPA expected that the                       hot work permit in many instances.                     demonstrate that they can meet specific
                                               final amendments to subpart W for                          Response: Due to similar comments                   criteria. A fourth commenter suggested
                                               monitoring methods would reference                      on the proposed NSPS subpart OOOOa,                    that the EPA develop a pilot program to
                                               the final version of the method(s) in the               the final NSPS subpart OOOOa provides                  incentivize the accelerated development
                                               NSPS subpart OOOOa, including any                       owners and operators of new, modified,                 and deployment of advanced
                                               changes made to the NSPS subpart                        or reconstructed well sites or                         monitoring and detection technologies
                                               OOOOa in response to comments on the                    compressor stations with the option of                 and to compare the effectiveness of
                                               proposed monitoring method(s) (81 FR                    using EPA Method 21 with a repair                      these approaches to periodic, OGI-based
                                               4991). Accordingly, the EPA is                          threshold of 500 ppmv if they elect not                surveys.
                                               finalizing the use of Method 21 as an                   to use the OGI method (40 CFR                             Response: The EPA agrees with the
                                               alternative monitoring method to OGI                    60.5397a). As discussed in section II.C.1              commenters that emissions monitoring
                                               (as specified in the NSPS subpart                       of this preamble, the final amendments                 in the oil and gas sector is a field of
                                               OOOOa) at 40 CFR 98.234(a)(7).                          to subpart W provide for the use of EPA                emerging technology, and major
                                                  For reporters that elect to use Method               Method 21 where a leak is detected for                 advances are expected in the near
                                               21 as specified in 40 CFR 98.234(a)(7),                 purposes of subpart W if an instrument                 future. We are seeing a rapidly growing
                                               either for components that are subject to               reading of 500 ppmv or greater is                      push to develop and produce low-cost
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                                               the NSPS subpart OOOOa well site or                     measured. This amendment to subpart                    monitoring technologies to find fugitive
                                               compressor station fugitive emissions                   W maintains the alignment with the                     CH4 emissions sooner and at lower
                                               requirements or voluntarily, a leak is                                                                         levels than current technology allows,
                                                                                                         15 For example, the EPA has issued a voluntary
                                               detected if an instrument reading of 500                                                                       thus enhancing the ability of operators
                                                                                                       request for information inviting all parties to
                                               ppmv or greater is measured. As                         provide information on innovative technologies to
                                                                                                                                                              to detect fugitive emissions. The EPA
                                               explained in this section regarding the                 detect, measure, and mitigate emissions from the oil   agrees that continued development of
                                               NSPS subpart OOOOa OGI monitoring                       and gas industry. See 81 FR 46670 (July 18, 2016).     these cost-effective technologies is


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                                               86500        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               important. However, the EPA does not                    emissions monitoring or emissions                     10,000 ppmv. To address this issue, we
                                               have enough information at this time to                 above 500 ppmv detected via EPA                       are also finalizing separate leaker factors
                                               evaluate specific technologies to                       Method 21, but the commenter asserted                 that are appropriate for reporters using
                                               determine if they are equivalent to or                  that the leak definition for any new or               this alternative method (Method 21 with
                                               better than the monitoring methods                      emerging technologies used in a                       a leak definition of 500 ppmv). As
                                               provided in and being added to 40 CFR                   voluntary leak survey should be 5,000                 described in further detail in section
                                               98.234(a). The EPA may evaluate new                     ppmv. The commenter noted that these                  II.E.1 of this preamble and in the
                                               options as they become available and                    new technologies are likely to be more                document ‘‘Greenhouse Gas Reporting
                                               determine if they are equivalent to                     sensitive and detect emissions at lower               Rule: Technical Support for Leak
                                               existing methods. For example, the final                concentrations than OGI, and                          Detection Methodology Revisions and
                                               NSPS subpart OOOOa provides a                           companies that are employing more                     Confidentiality Determinations for
                                               process for the EPA to determine that a                 accurate instruments should not be                    Petroleum and Natural Gas Systems
                                               technology can be used as an                            ‘‘penalized’’ by having to report more                Final Rule’’ in Docket ID No. EPA–HQ–
                                               ‘‘alternative means of emission                         leaks than if they used OGI.                          OAR–2015–0764, these additional
                                               limitation.’’ 16 As technologies are                       Response: Subpart W already includes               emission factors were developed from
                                               approved through this process, the EPA                  OGI and EPA Method 21 with a leak                     the same data set that was used to
                                               anticipates that it would                               definition of 10,000 ppmv for use by                  develop the original population
                                               contemporaneously incorporate these                     reporters currently required to conduct               emission factors and the proposed
                                               monitoring methods in subpart W to                      leak surveys for subpart W. The final                 leaker factors.17 Therefore, this
                                               ensure continued alignment between                      amendments also provide for use of                    additional Method 21 monitoring
                                               the NSPS subpart OOOOa and subpart                      these methods by reporters electing to                method, which includes a different leak
                                               W through future notice and comment                     conduct an equipment leak survey                      definition than the other Method 21-
                                               rulemaking.                                             voluntarily (i.e., for sources currently              based method already available in
                                                  Comment: Multiple commenters                         required to use the calculation                       subpart W at 40 CFR 98.234(a)(2), has
                                               addressed the proposed requirement to                   methodology based on population                       been specifically considered and new
                                               consider any fugitive emissions                         counts that are not subject to the NSPS               emission factors are provided in the
                                               observed using OGI during the NSPS                      subpart OOOOa well site or compressor                 final rule to ensure that this new
                                               subpart OOOOa fugitive emissions                        station fugitive emissions requirements).             monitoring method’s leak definition
                                               monitoring as a leak for purposes of                    The EPA is adding the methods used for                will not undermine the quality of the
                                               subpart W. Most of these commenters                     fugitive emissions monitoring in the                  emissions reported under subpart W.
                                               objected to the proposal and stated that                NSPS subpart OOOOa to 40 CFR                             If the EPA did not provide the ability
                                               the definition of a leak for subpart W                  98.234(a), as approved monitoring                     for reporters to use the monitoring
                                               should be 10,000 ppmv, regardless of                    methods for subpart W leak surveys.                   methods required by the NSPS subpart
                                               the monitoring method used. These                       This addition facilitates alignment with              OOOOa within subpart W, reporters
                                               commenters asserted that setting the                    the NSPS subpart OOOOa and will                       would not be able to use the NSPS
                                               leak definition consistent with the                     allow reporters to directly use the NSPS              subpart OOOOa monitoring results
                                               current methods in subpart W would                      subpart OOOOa monitoring results to                   directly; instead, they would have to
                                               ensure that the new methods result in                   count the number of leaks under subpart               measure each occurrence of fugitive
                                               new information being collected and                     W. Finally, as noted in section II.C.1 of             emissions individually to determine if it
                                               reported consistently within a facility                 this preamble, the EPA is not adding                  is a leak for purposes of subpart W,
                                               and consistent with the equipment leak                  any other monitoring methods to                       which would increase the burden for
                                               data already in the GHGRP. One                          subpart W at this time, so it is not                  those reporters.
                                               commenter noted that defining a leak as                 necessary to consider a different leak
                                                                                                                                                             D. Summary of Final Amendments for
                                               emissions at a set concentration is much                definition for new or emerging
                                                                                                                                                             Components To Be Surveyed
                                               less subjective than defining a leak as                 technologies.
                                               any emissions observed with OGI, and                       The EPA disagrees that using a leak                1. Summary of Final Amendments
                                               setting the leak definition at 10,000                   definition other than 10,000 ppmv                        The EPA proposed to align the
                                               ppmv rather than a lower concentration                  would undermine the quality of the data               subpart W equipment components with
                                               would allow operators to focus on                       reported to the GHGRP. First, subpart W               the NSPS subpart OOOOa definition of
                                               finding (and fixing) large leaks instead                currently includes an OGI monitoring                  ‘‘fugitive emissions component,’’ with
                                               of spending resources to identify many                  method in 40 CFR 98.234(a)(1). While                  certain exceptions.18 After careful
                                               small leaks that do not contribute much                 this monitoring method allows facilities              consideration of comments, the EPA is
                                               to overall emissions. Another                           to screen the observed leaks using                    finalizing that provision consistent with
                                               commenter noted that a leak definition                  Method 21, it does not require it, and                the final NSPS subpart OOOOa
                                               of 10,000 ppmv is consistent with the                   we do not expect that many reporters                  definition of ‘‘fugitive emissions
                                               leaker emission factors currently                       actively use dual monitoring methods in               component’’ with certain exceptions
                                               provided in subpart W as well as the                    their leak surveys to screen all OGI-                 consistent with the proposal, as
                                               proposed new leaker emission factors.                   detected leaks using Method 21.                       described in further detail in this
                                                  One commenter agreed with a subpart                     Second, we are also finalizing,
                                                                                                                                                             section below. A ‘‘fugitive emissions
                                               W leak being defined as any fugitive                    consistent with the final NSPS subpart
                                                                                                                                                             component’’ is defined in 40 CFR
                                               emissions observed using OGI during                     OOOOa rule, the ability to use Method
                                                                                                                                                             60.5430a of the final NSPS subpart
                                               the NSPS subpart OOOOa fugitive                         21 with a leak definition of 500 ppmv
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                                                                                                       as an alternative to the OGI method. We                  17 This data set was developed from monitoring
                                                 16 See 40 CFR 60.5398a titled ‘‘What are the          agree with commenters that the average                conducted using Method 21 with a leak definition
                                               alternative means of emission limitations for GHG       emissions rate of leaks identified using              of 10,000 ppmv.
                                               and volatile organic compounds from well                Method 21 with a leak definition of 500                  18 See 81 FR 4994 for a discussion of the

                                               completions, reciprocating compressors, the                                                                   differences between the proposed definition of
                                               collection of fugitive emissions components at a
                                                                                                       ppmv would be less than the average                   ‘‘fugitive emissions component’’ and the proposed
                                               well site and the collection of fugitive emissions      emissions rate of leaks identified using              components subject to equipment leak reporting in
                                               components at a compressor station?’’                   Method 21 with a leak definition of                   subpart W.



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                                                             Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                                   86501

                                               OOOOa to include any component that                       from a location other than the vent are                 methodologies in subpart W to identify
                                               has the potential to emit fugitive                        considered fugitive emissions.                          which fugitive emissions components
                                               emissions of CH4 or volatile organic                        As noted in the preamble to the                       were already covered by an existing
                                               compounds at a well site or compressor                    proposed subpart W amendments, some                     requirement in subpart W and which
                                               station, including but not limited to                     of the components listed in the NSPS                    fugitive emissions components would
                                               valves, connectors, pressure relief                       subpart OOOOa definition of fugitive                    be specifically covered in subpart W
                                               devices, open-ended lines, flanges,                       emissions component are already                         when using the OGI method as specified
                                               covers and closed vent systems not                        included as part of the subpart W                       in the proposed NSPS subpart OOOOa.
                                               subject to 40 CFR 60.5411a, thief                         equipment leaks calculation                                Table 3 of this preamble provides a
                                               hatches or other openings on a                            methodologies (either based on                          summary of the applicable subpart W
                                               controlled storage vessel not subject to                  equipment leak surveys or on                            calculation methodologies for
                                               40 CFR 60.5395a, compressors,                             population counts), while other fugitive                components subject to the fugitive
                                               instruments, and meters. Devices that                     emissions components are specifically                   emissions standards in the final NSPS
                                               vent as part of normal operations, such                   addressed in other calculation                          subpart OOOOa. The basis for excluding
                                               as natural gas-driven pneumatic                           methodologies in subpart W. As part of                  certain components that are subject to
                                               controllers or natural gas-driven pumps,                  developing the proposed amendments                      the fugitive emissions standards in the
                                               are not fugitive emissions components,                    for subpart W, we compared the list of                  final NSPS subpart OOOOa from the
                                               as the natural gas discharged from the                    components in the NSPS subpart                          final equipment leak survey
                                               device’s vent is not considered a                         OOOOa proposed definition of fugitive                   requirements in 40 CFR 98.233(q) is
                                               fugitive emission. Emissions originating                  emissions component with the current                    discussed below.

                                               TABLE 3—FINAL SUBPART W CALCULATION METHODOLOGY REQUIREMENTS FOR COMPONENTS SUBJECT TO THE FUGITIVE
                                                                           EMISSIONS STANDARDS IN NSPS SUBPART OOOOa
                                                                                            Applicable GHG emissions calculation methodology in subpart W by industry segment for components that
                                                                                              are also subject to the fugitive emissions standards for well sites or compressor stations in the NSPS
                                                Type of component in definition of                                                       subpart OOOOaa
                                                fugitive emissions component and
                                                 subject to the fugitive emissions           Onshore petroleum and natural
                                                   standards in NSPS subpart                    gas production, onshore                 Underground natural gas storage,       Onshore natural gas transmission
                                                              OOOOa                            petroleum and natural gas                 LNG storage, LNG import and                    compression
                                                                                                                                               export equipment
                                                                                                gathering and boosting

                                               Thief hatches or other openings on           • 40 CFR 98.233(j) ......................   • 40 CFR 98.233(q) (use factor         • 40 CFR 98.233(k).
                                                 controlled storage vessels not                                                           for ‘‘other’’ components in Ta-
                                                 subject to 40 CFR 60.5395a.                                                              bles W–4A, W–5A, and W–6A
                                                                                                                                          to subpart W) b.
                                               Compressors, excluding emissions             • 40 CFR 98.233(q) for blowdown             • 40 CFR 98.233(o) for blowdown        • 40 CFR 98.233(o) for blowdown
                                                 from vents that are part of nor-             valve leakage and isolation                 valve leakage and isolation            valve leakage and isolation
                                                 mal operations (i.e., wet seal oil           valve leakage (use factor for               valve leakage from centrifugal         valve leakage from centrifugal
                                                 degassing vents).                            ‘‘open-ended line’’ in Table W–             compressors.                           compressors
                                                                                              1E to subpart W) b.                       • 40 CFR 98.233(p) for blowdown        • 40 CFR 98.233(p) for blowdown
                                                                                            • 40 CFR 98.233(q) for all other              valve leakage, isolation valve         valve leakage, isolation valve
                                                                                              leaks from the housing (use                 leakage, and rod packing vent-         leakage, and rod packing vent-
                                                                                              factor for ‘‘other’’ components in          ing from reciprocating compres-        ing from reciprocating compres-
                                                                                              Table W–1E to subpart W) b.                 sors.                                  sors
                                                                                            • 40 CFR 98.233(p)(10) for rod              • 40 CFR 98.233(q) for all other       • 40 CFR 98.233(q) for all other
                                                                                              packing venting from recipro-               leaks from the housing (use            leaks from the housing (use
                                                                                              cating compressors.                         factor for ‘‘other’’ components in     factor for ‘‘other’’ components in
                                                                                                                                          Table W–4A, W–5A, and W–6A             Tables W–3A, to subpart W) b
                                                                                                                                          to subpart W) b.
                                               All other components .....................   • 40 CFR 98.233(q) (use factors             • 40 CFR 98.233(q) (use factors        • 40 CFR 98.233(q) (use factors
                                                                                              for applicable component types              for applicable component types         for applicable component types
                                                                                              in Table W–1E to subpart W) b.              in Tables W–4A, W–5A, and              in Table W–3A to subpart W) c.
                                                                                                                                          W–6A to subpart W) c.
                                                  a Onshore Natural Gas Processing and Natural Gas Distribution are not included in this table because we are not revising the calculation meth-
                                               odology and monitoring method for leak detection for these industry segments in this action. The current requirements are still applicable to com-
                                               ponents in these industry segments.
                                                  b The leaker emission factors for ‘‘other’’ components are being finalized in this revision.
                                                  c The leaker emission factors include both factors in the current rule and factors that are being finalized in this action, depending on the spe-
                                               cific component and the monitoring method used to conduct the survey, as discussed in section II.E.1 of this preamble.


                                                 At proposal, we determined that the                     whether the agency should consider                      reviewed the subpart W calculation
                                               subpart W calculation methodology for                     separate approaches for controlled                      methodology specifically for storage
                                               storage tanks in 40 CFR 98.233(j)                         storage tanks and uncontrolled storage                  tanks with a vapor recovery system (40
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                                               already includes emissions from thief                     tanks. The final definition of ‘‘fugitive               CFR 98.233(j)(4)) and storage tanks with
                                               hatches or other openings on storage                      emissions component’’ in the NSPS                       a flare (40 CFR 98.233(j)(5)). The
                                               vessels in the Onshore Petroleum and                      subpart OOOOa (40 CFR 60.5430a)                         procedure for determining emissions
                                               Natural Gas Production and Onshore                        includes only thief hatches or other                    from a tank with a vapor recovery
                                               Petroleum and Natural Gas Gathering                       openings on a controlled storage vessel;                system instructs reporters to adjust the
                                               and Boosting industry segments.                           it does not specifically list openings on               storage tank emissions downward by the
                                               However, we requested comment on                          uncontrolled storage vessels. We                        magnitude of emissions recovered using


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                                               86502        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               a vapor recovery system as determined                     For compressors in the Onshore                      subpart OOOOa or EPA Method 21 with
                                               by engineering estimate based on best                   Petroleum and Natural Gas Production                  a leak definition of 500 ppmv. In other
                                               available data (40 CFR 98.233(j)(4)(i)).                and the Onshore Petroleum and Natural                 words, we consider the provision
                                               The procedure for determining                           Gas Gathering and Boosting industry                   requiring monitoring of fugitive
                                               emissions from a tank with a flare                      segments under subpart W, the                         emissions components as defined in the
                                               references 40 CFR 98.233(n), which                      compressor methodologies only cover                   NSPS subpart OOOOa in 40 CFR
                                               instructs reporters to use engineering                  emissions from centrifugal compressor                 60.5397a(e) to be an inherent part of the
                                               calculations based on process                           wet seal oil degassing vents and from                 NSPS subpart OOOOa OGI method and
                                               knowledge, company records, and best                    reciprocating compressor rod packing                  EPA Method 21 with a leak definition
                                               available data to determine the flow to                 vents. Thus, the EPA is finalizing as                 of 500 ppmv. Therefore, if a reporter
                                               the flare if the flare does not have a                  proposed, for these industry segments,                with components not subject to the
                                               continuous flow measurement device. If                  that blowdown valve leakage and                       NSPS subpart OOOOa well site or
                                               a reporter sees fugitive emissions from                 isolation valve leakage are considered                compressor station fugitive emission
                                               a thief hatch or other opening on a                     equipment leaks (i.e., open-ended lines),             requirements elects to use the NSPS
                                               controlled storage vessel during an                     and finalizing as proposed that                       subpart OOOOa OGI method or EPA
                                               equipment leak survey conducted using                   emissions from centrifugal compressor                 Method 21 with a leak definition of 500
                                               OGI, the reporter should consider that                  wet seal oil degassing vents and from                 ppmv for purposes of subpart W, they
                                               information as part of the ‘‘best                       reciprocating compressor rod packing                  are also electing to survey these
                                               available data’’ used to calculate                      vents are not considered equipment                    additional components.
                                               emissions from that storage tank.                       leaks when using the calculation
                                                                                                                                                             2. Summary of Comments and
                                               Therefore, we have concluded that                       methodology based on equipment leak
                                                                                                                                                             Responses
                                               emissions from thief hatches or other                   surveys in 40 CFR 98.233(q).20
                                               openings on storage vessels in the                        For the Onshore Natural Gas                            Comment: Several commenters stated
                                               Onshore Petroleum and Natural Gas                       Transmission Compression,                             that the NSPS subpart OOOOa proposed
                                               Production and Onshore Petroleum and                    Underground Natural Gas Storage, LNG                  definition of ‘‘fugitive emissions
                                               Natural Gas Gathering and Boosting                      Storage, and LNG Import and Export                    component’’ is too expansive. Because it
                                               industry segments are already included                  Equipment segments, subpart W                         includes many more emission sources
                                               in the subpart W storage tank emission                  requires reporters to make ‘‘as found’’ or            than a more traditional definition of
                                               calculations in 40 CFR 98.233(j) and are                continuous measurements for                           equipment, the commenters asserted
                                               finalizing, consistent with the proposal,               compressor emission sources, so the                   that it is inconsistent with current
                                               that they are not to be considered when                 reporters will have either direct                     subpart W requirements. The
                                               determining emissions from equipment                    measurement data or site-specific                     commenters stated that aligning subpart
                                               leaks for purposes of subpart W.                        emission factors by which to calculate                W with the NSPS subpart OOOOa in
                                                  We are also finalizing as proposed the               emissions from all of the compressor                  this respect will complicate the question
                                               exclusion of thief hatches and other                    sources listed above (i.e., wet seal oil              of which components must be
                                               openings on transmission storage tanks                  degassing vents for centrifugal                       monitored at subpart W facilities and
                                               from the equipment leak reporting                       compressors with wet seals, rod packing               will result in facilities having higher
                                               requirements.19 We note that, for                       vents for reciprocating compressors, and              numbers of leaks than they would have
                                               purposes of subpart W reporting, a                      blowdown valve leakage and isolation                  if they used any other equipment leak
                                               leaking thief hatch or other opening is                 valve leakage for both centrifugal and                detection method in subpart W. Some
                                               functionally a secondary vent, and thus                 reciprocating compressors). Therefore,                commenters stated that even for well
                                               subject to annual screening on an                       we are finalizing as proposed to exclude              sites and compressor station sites
                                               uncontrolled tank according to 40 CFR                   these compressor emission sources from                subject to the NSPS subpart OOOOa,
                                               98.233(k)(1). If screening shows vapors                 the requirements in the calculation                   component types considered to be
                                               from the thief hatch or opening are                     methodology based on equipment leak                   equipment under subpart W should be
                                               continuous for 5 minutes, then a                        surveys so that reporters do not double-              consistent with a more traditional
                                               method in 40 CFR 98.233(k)(2) must be                   count emissions from these sources in                 definition of equipment. Other
                                               used to quantify the leak rate, and this                their GHGRP reports.                                  commenters requested that equipment
                                               amount must be combined with any                          Finally, as noted in section II.C.1 of              under subpart W only include
                                               other vent leak rates for reporting.                    this preamble, we are finalizing the                  component types for which the EPA can
                                                  We are also finalizing the proposed                  proposed determination that for                       provide specific population factors and
                                               distinction between equipment leak                      purposes of subpart W, all other fugitive             leaker emission factors.
                                               emissions and compressor emissions.                     emissions components as defined in the                   Response: As noted in section II.D.1
                                               Specifically, for centrifugal                           NSPS subpart OOOOa not specifically                   of this preamble, the final definition of
                                               compressors, emission sources include                   identified above (e.g., thief hatches or              ‘‘fugitive emissions component’’ in the
                                               wet seal oil degassing vents (for                       other openings on a controlled storage                NSPS subpart OOOOa (40 CFR
                                               centrifugal compressors with wet seals),                vessel, compressor sources with explicit              60.5430a) does not list as many explicit
                                               blowdown valve leakage, and isolation                   calculation methodologies in subpart W)               individual component types, as
                                               valve leakage. For reciprocating                        will be considered equipment                          originally proposed. The EPA is
                                               compressors, emission sources include                   components when conducting an                         finalizing, with the exceptions
                                               reciprocating compressor rod packing                    equipment leak survey using the OGI                   discussed in section II.D.1 of this
                                               vents, blowdown valve leakage, and                      method as specified in the NSPS                       preamble and consistent with the extent
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                                               isolation valve leakage.                                                                                      proposed, this alignment with the NSPS
                                                                                                         20 40 CFR 98.233(q) specifies which subsections     subpart OOOOa, so that reporters may
                                                 19 The exceptions to equipment leak reporting         in 40 CFR 98.232 (i.e., which components) must        directly use the NSPS subpart OOOOa
                                               requirements were included in Tables W–1E and           follow the calculation methodology based on           monitoring results to count the number
                                               W–3 through W–6 of the proposal. The final rule         equipment leak surveys in 40 CFR 98.233(q), and
                                               moves these exceptions to 40 CFR 98.232, to             40 CFR 98.232 subsections identify exceptions from
                                                                                                                                                             of leaks under subpart W. Reporters
                                               increase clarity and reduce confusion while             the list of components for which equipment leak       using the calculation methodology
                                               achieving the same purpose and effect.                  reporting is required.                                based on equipment leak surveys for


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                                                            Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                         86503

                                               components not subject to the NSPS                      industry segment; (2) the Onshore                     service. Flanges are a type of connector,
                                               subpart OOOOa may choose which                          Petroleum and Natural Gas Gathering                   which means the proposed flange
                                               monitoring method to use. If a reporter                 and Boosting industry segment; (3)                    factors that were identical to the
                                               chooses to use one of the monitoring                    storage wellheads in gas service in the               existing connector factors were
                                               methods listed in 40 CFR 98.234(a)(1)                   Underground Natural Gas Storage                       redundant. Therefore, we have not
                                               through (5), that reporter would use the                industry segment; (4) LNG storage                     finalized the proposed separate factors
                                               current list of equipment components                    components in gas service in the LNG                  for flanges where the factor was the
                                               for the appropriate industry segment in                 Storage industry segment; and (5) LNG                 same as the factor for connectors and are
                                               40 CFR 98.232 (e.g., the list of                        terminals components in gas service for               finalizing that flanges must use the final
                                               equipment at 40 CFR 98.232(e)(7) for the                the LNG Import and Export Equipment                   connector factor, meaning the effect of
                                               Onshore Natural Gas Transmission                        industry segment. For industry                        the final amendments is the same as the
                                               Compression industry segment). If a                     segments that already include a set of                proposal. The separate factors for
                                               reporter chooses to use the OGI method                  leaker emission factors, the EPA also                 connectors and flanges for storage
                                               as specified in the NSPS subpart                        proposed to expand that set of leaker                 wellheads in gas service at Underground
                                               OOOOa or EPA Method 21 with a leak                      emission factors to include certain                   Natural Gas Storage facilities are
                                               definition of 500 ppmv, the reporter                    additional components to better align                 finalized as proposed, but to clarify that
                                               would use both the current list and the                 with the definition of fugitive emissions             the factor for connectors applies only to
                                               newly added list of equipment                           components in the NSPS subpart                        all types of connectors other than
                                               components for the appropriate industry                 OOOOa. See the document ‘‘Greenhouse                  flanges, the component name has been
                                               segment in 40 CFR 98.232, which in                      Gas Reporting Rule: Technical Support                 changed from ‘‘connector’’ in the
                                               conjunction include the NSPS subpart                    for Leak Detection Methodology                        proposal to ‘‘connector (other)’’ in Table
                                               OOOOa definition of ‘‘fugitive                          Revisions and Confidentiality                         W–4A of the final amendments. This
                                               emissions component’’ in 40 CFR                         Determinations for Petroleum and                      change also makes the terminology in
                                               60.5430a with the exceptions discussed                  Natural Gas Systems’’ in Docket Item                  Table W–4A consistent with the
                                               in section II.D.1 of this preamble (e.g.,               No. EPA–HQ–OAR–2015–0764–0028,                        terminology in Tables W–1A and W–1E,
                                               the list of equipment at 40 CFR                         for more information on the                           which also specify factors for flanges
                                               98.232(e)(7) and (8) for the Onshore                    development of the proposed leaker                    that differ from the factors for other
                                               Natural Gas Transmission Compression                    emission factors.                                     types of connectors.
                                               industry segment).                                                                                               We are not finalizing the proposed
                                                                                                          We are finalizing the leaker emission              addition of pumps to the leaker factors
                                               E. Summary of Final Amendments to                       factors for the Onshore Petroleum and                 in Table W–2 for the Onshore Natural
                                               Leaker Emission Factors and the                         Natural Gas Production and the Onshore                Gas Processing industry segment. As
                                               Calculation Methodology Based on                        Petroleum and Natural Gas Gathering                   described in section II.B.1 of this
                                               Equipment Leak Surveys                                  and Boosting industry segments as                     preamble, we are not taking final action
                                                                                                       proposed, with clarifications for flanges             on the Onshore Natural Gas Processing
                                               1. Summary of Final Amendments
                                                                                                       and connectors noted below. We are                    revisions at this time.
                                                  To quantify emissions from leaking                   also finalizing the following leaker                     In addition to finalizing nearly all of
                                               equipment components, subpart W                         emission factors as proposed: (1) The                 the proposed leaker factors, we are also
                                               includes leaker emission factors for each               leaker emission factors for ‘‘other’’                 finalizing an additional set of emission
                                               component type in each industry                         components in Tables W–3A, W–4A,                      factors corresponding to the average
                                               segment currently required to use the                   W–5A, and W–6A to subpart W; (2) the                  emissions rates of components
                                               calculation methodology based on                        leaker emission factors for storage                   identified using Method 21 with a leak
                                               equipment leak surveys. In contrast to                  wellhead equipment in gas service                     definition of 500 ppmv. The proposed
                                               the population emission factors, which                  within Table W–4A to subpart W; and                   leaker factors were developed based on
                                               are multiplied by the total facility                    (3) the leaker emission factors for                   Method 21 monitoring using a leak
                                               component counts, leaker emission                       equipment in gas service for LNG                      definition of 10,000 ppmv and were to
                                               factors are multiplied by the actual                    storage components within Table W–5A                  be applied by all reporters regardless of
                                               number of leaks for each component                      to subpart W and for LNG terminal                     the leak survey monitoring method
                                               type, as identified by the equipment                    components within Table W–6A to                       used. As noted in section II.C of this
                                               leak survey. These amendments                           subpart W. We are also finalizing the                 preamble, the final NSPS subpart
                                               increase the component types that are                   proposal to expand the existing leaker                OOOOa includes an additional
                                               required or may elect to use the                        emission factor for meters to also                    alternative that allows reporters to use
                                               calculation methodology based on                        include instruments in Tables W–3A                    Method 21 with a leak definition of 500
                                               equipment leak surveys, including most                  and W–4A to subpart W for the Onshore                 ppmv. On average, the emissions from
                                               of the component types currently using                  Natural Gas Transmission Compression                  a leak identified with a Method 21
                                               the subpart W calculation methodology                   and Underground Natural Gas Storage                   reading above 500 ppmv are less than
                                               based on population counts.21                           industry segments, respectively. All but              the emissions from a leak identified
                                               Therefore, new leaker emission factors                  one of the proposed leaker factors for                with a Method 21 reading of 10,000
                                               are being added so that reporters can                   flanges in Tables W–3 through W–6 to                  ppmv or higher. Consequently, the
                                               calculate their GHG emissions for these                 subpart W (Tables W–3A, W–4A, W–5A,                   leaker factor (which is the average
                                               new component types.                                    and W–6A to subpart W in these final                  emissions rate) for leaks identified when
                                                  Specifically, the EPA proposed to add                amendments) were the same as the                      using a leak definition of 500 ppmv is
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                                               new sets of leaker emission factors to                  leaker factors for connectors; the                    smaller than the leaker factor for leaks
                                               subpart W for: (1) The Onshore                          exception was for flanges in gas service              identified when using a leak definition
                                               Petroleum and Natural Gas Production                    associated with storage wellheads at                  of 10,000 ppmv. Therefore, in order to
                                                 21 The NSPS subpart OOOOa fugitive emission
                                                                                                       Underground Natural Gas Storage                       use the NSPS subpart OOOOa survey
                                               requirements do not apply to fugitive emissions
                                                                                                       facilities, which had a proposed leaker               results directly to calculate equipment
                                               components in the Natural Gas Distribution              factor that differed from the proposed                leak emissions for subpart W when
                                               industry segment.                                       leaker factor for connectors in the same              Method 21 with a leak definition of 500


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                                               86504        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               ppmv is used, leaker factors were                       conducts three equipment leak surveys                 with subpart W monitoring methods
                                               developed consistent with the average                   in a calendar year and a particular                   under these final revisions.
                                               emissions rate of a ‘‘leak’’ defined as a               component is found to be leaking in the                  However, under the current
                                               measurement reading of 500 ppmv or                      first and second surveys but not the                  interpretation of a ‘‘complete’’ survey, it
                                               more using Method 21. We developed                      third, the total leak duration is the sum             would appear that these reporters would
                                               these new leaker factors using data from                of the time from January 1 to the date                either: (1) Be unable to use the NSPS
                                               EPA’s Protocol for Equipment Leak                       of the second survey. If a reporter                   subpart OOOOa fugitive emissions
                                               Emissions Estimates 22 consistent with                  conducts three equipment leak surveys                 monitoring results as directed, because
                                               the data used to develop the proposed                   in a calendar year and a particular                   they did not survey all components at
                                               leaker factors for Onshore Petroleum                    component is found to be leaking in the               the facility; or (2) be forced to monitor
                                               and Natural Gas Production and the                      first and last surveys but not the second,            all components at the facility on the
                                               Onshore Petroleum and Natural Gas                       then the total leak duration is the sum               same frequency as the components
                                               Gathering and Boosting industry                         of the time from January 1 to the date                subject to the NSPS subpart OOOOa
                                               segments. See the document                              of the first survey and the time from the             well site or compressor station fugitive
                                               ‘‘Greenhouse Gas Reporting Rule:                        date of the second survey to December                 emissions requirements to meet the
                                               Technical Support for Leak Detection                    31.                                                   subpart W requirement to use all
                                               Methodology Revisions and                                  See ‘‘Response to Public Comments                  additional leak surveys conducted in
                                               Confidentiality Determinations for                      on Greenhouse Gas Reporting Rule:                     accordance with NSPS OOOOa. The
                                               Petroleum and Natural Gas Systems                       Leak Detection Methodology Revisions                  first interpretation would render these
                                               Final Rule’’ in Docket ID No. EPA–HQ–                   and Confidentiality Determinations for                final amendments useless, and the
                                               OAR–2015–0764, which provides more                      Petroleum and Natural Gas Systems’’ in                second interpretation would increase
                                               information on the development of the                   Docket ID No. EPA–HQ–OAR–2015–                        the burden beyond the EPA’s intentions,
                                               final leaker emission factors. The                      0764 for all comments and the EPA’s                   and could also have unintended
                                               inclusion of leaker factors specific to                 responses to comments on other aspects                consequences for the components
                                               Method 21 with a leak definition of 500                 of the time variable Tp,z in Equation W–              subject to the NSPS subpart OOOOa
                                               ppmv is consistent with our proposal to                 30.                                                   (e.g., a subpart W facility with some
                                               align subpart W calculation                                Finally, 40 CFR 98.233(q) includes a               components subject to the NSPS subpart
                                               methodologies with the monitoring                       provision requiring reporters to conduct              OOOOa well site fugitive emissions
                                               requirements in the NSPS subpart                        one equipment leak survey in a calendar               requirements and others subject to the
                                               OOOOa.                                                  year (which must include ‘‘all                        NSPS subpart OOOOa compressor
                                                  We are also finalizing the proposed                  component types’’ subject to 40 CFR                   station fugitive emissions requirements
                                               amendments to the time variable Tp,z in                 98.233(q)) or multiple ‘‘complete’’                   could end up being required to monitor
                                               Equation W–30 to clarify the total time                 equipment leak surveys in a calendar                  the fugitive emissions components at a
                                               a surveyed component found leaking is                   year. In response to comments as part of              well site four times a year instead of
                                               assumed to be leaking and operational.                  the 2010 subpart W final rule, the EPA                twice). Therefore, the EPA is clarifying
                                               The previous language for the definition                noted that subsequent equipment leak                  in 40 CFR 98.233(q)(2)(i) that any
                                               of the time variable specifically                       surveys should be ‘‘conducted for an                  monitoring conducted pursuant to and
                                               considers a first leak survey and a last                entire facility.’’ 23                                 in compliance with the NSPS subpart
                                                                                                          The EPA has reviewed how this                      OOOOa well site or compressor station
                                               leak survey in the year but does not
                                                                                                       interpretation could interact with these              fugitive emissions requirements
                                               provide specific language with respect
                                                                                                       final amendments for components                       constitutes a ‘‘complete’’ survey for
                                               to the duration of any ‘‘intermediate’’
                                                                                                       subject to the NSPS subpart OOOOa                     purposes of subpart W and must be used
                                               survey conducted between the first and
                                                                                                       well site or compressor station fugitive              for subpart W reporting. The EPA is
                                               last survey. Therefore, the EPA
                                                                                                       emissions requirements and finds that                 further clarifying that, to meet the
                                               proposed to amend the definition of the
                                                                                                       additional clarification is necessary. For            requirements of 40 CFR 98.233(q), at
                                               time variable to clarify how to
                                                                                                       example, a facility in the Onshore                    least one equipment leak survey must be
                                               determine the duration of a leak if more
                                                                                                       Petroleum and Natural Gas Production                  conducted in a calendar year.
                                               than two leak surveys are conducted in
                                                                                                       industry segment or the Onshore
                                               a year and to instruct reporters to sum                                                                       2. Summary of Comments and
                                                                                                       Petroleum and Natural Gas Gathering
                                               the individual durations to determine                                                                         Responses
                                                                                                       and Boosting industry segment may
                                               the total time the component was                                                                                 Comment: Several commenters
                                                                                                       have some components that are subject
                                               leaking during the year.                                                                                      addressed the EPA’s proposed leaker
                                                  The EPA is finalizing this amendment                 to the NSPS subpart OOOOa well site or
                                                                                                       compressor station fugitive emissions                 emission factors. Some of the
                                               as proposed. The amendments to the                                                                            commenters indicated that the EPA/Gas
                                               time variable Tp,z define each equipment                requirements and some components that
                                                                                                       are not. In such a case, multiple                     Research Institute (GRI) data set upon
                                               leak survey as covering a unique, non-                                                                        which the proposed factors are based is
                                               overlapping time period and we are                      equipment leak surveys would be
                                                                                                       conducted for the components subject to               an older data set and asserted that it
                                               clarifying our intent that a leak detected                                                                    may not be representative of operating
                                               in the first or any intermediate survey                 the NSPS subpart OOOOa well site or
                                                                                                       compressor station fugitive emissions                 practices and procedures that have
                                               is not considered to continue leaking                                                                         changed significantly over the past 20
                                               past the date of that specific equipment                requirements, to fulfill the requirements
                                                                                                       of the NSPS subpart OOOOa for those                   years. In addition, the commenters
                                               leak survey. For the last survey                                                                              stated that the EPA/GRI data set
                                                                                                       components, that would be consistent
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                                               conducted in the calendar year, the leak                                                                      includes a limited population of
                                               is assumed to continue until the end of                   23 U.S. Environmental Protection Agency.            measurements, so the proposed leaker
                                               the year. For example, if a reporter                    Mandatory Greenhouse Gas Reporting Rule Subpart       emission factors may not account for
                                                                                                       W—Petroleum and Natural Gas: EPA’s Response to        operational variability on a regional or
                                                 22 U.S. Environmental Protection Agency.              Public Comments. November 2010. Docket Item No.
                                               Protocol for Equipment Leak Emissions Estimates.        EPA–HQ–OAR–2009–0923–3608. Response to
                                                                                                                                                             national level. Some commenters
                                               EPA–453/R–95–017. November 1995. Docket Item            Comment Number EPA–HQ–OAR–2009–0923–                  requested that the EPA consider newer
                                               No. EPA–HQ–OAR–2009–0927–0043.                          1014–9, pp. 1281–1282.                                studies, including those cited in


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                                                            Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                         86505

                                               ‘‘Greenhouse Gas Reporting Rule:                        Petroleum and Natural Gas Systems                     be needed to enable us to review and
                                               Technical Support for Leak Detection                    Final Rule’’ in Docket ID No. EPA–HQ–                 verify reported data. In either of these
                                               Methodology Revisions and                               OAR–2015–0764, the EPA is finalizing                  cases, we would provide the
                                               Confidentiality Determinations for                      the leaker emission factors as proposed.              opportunity for the public to comment
                                               Petroleum and Natural Gas Systems’’                        The EPA appreciates the commenters’                on those amended requirements before
                                               (Docket Item No. EPA–HQ–OAR–2015–                       interest in providing a thorough review               finalizing them within subpart W.
                                               0764–0028) either instead of or in                      of the available study data to develop an
                                                                                                       accurate set of leaker emission factors.              F. Summary of Final Amendments to
                                               combination with the EPA/GRI data set.
                                                  Several commenters urged the EPA to                  The EPA is committed to working with                  Reporting Requirements
                                               work with the regulated community to                    stakeholders to ensure that GHGRP                     1. Summary of Final Amendments
                                               improve the default leaker emission                     requirements and calculation methods                     The EPA is finalizing largely as
                                               factors in subpart W. One commenter                     are based upon the most robust data
                                                                                                                                                             proposed the new reporting
                                               noted that the proposed leaker emission                 available. If the EPA determines that
                                                                                                                                                             requirements for facilities conducting
                                               factors may be a viable interim solution                revisions to the subpart W leaker
                                                                                                                                                             equipment leak surveys under subpart
                                               but recommended that the EPA analyze                    emission factors are appropriate in the
                                                                                                                                                             W. Reporters in the Onshore Petroleum
                                               more robust data sets consisting of the                 future based on additional information,
                                                                                                                                                             and Natural Gas Production and the
                                               combined results of all studies for each                we anticipate that we will propose to
                                                                                                                                                             Onshore Petroleum and Natural Gas
                                               industry segment and evaluate whether                   amend the rule accordingly.
                                                                                                          Comment: Numerous commenters                       Gathering and Boosting industry
                                               the subpart W leaker emission factors
                                                                                                       stated that reporters should be allowed               segments, reporters with storage
                                               should be revised.
                                                  Response: As described in the                        to use site-specific leak quantification              wellheads in the Underground Natural
                                               preamble to the proposed rule and the                   data if available, either directly for each           Gas Storage industry segment, and
                                               document ‘‘Greenhouse Gas Reporting                     individual leak (i.e., direct measurement             reporters with components in gas
                                               Rule: Technical Support for Leak                        data) or to develop their own leaker                  service in the LNG Storage and LNG
                                               Detection Methodology Revisions and                     emission factors on a facility-specific,              Import and Export Equipment industry
                                               Confidentiality Determinations for                      company-specific, or product-specific                 segments that begin using the
                                               Petroleum and Natural Gas Systems                       basis. Most of these commenters                       calculation methodology based on
                                               Final Rule’’ (Docket ID No. EPA–HQ–                     supported the EPA’s proposal to include               equipment leak surveys must report the
                                               OAR–2015–0764), the EPA has                             default leaker emission factors, but                  information currently listed in 40 CFR
                                               determined that the EPA/GRI data set is                 stated that reporters should not be                   98.236(q)(1) and (2), which includes the
                                               appropriate to base leaker emission                     limited to using them if the facility has             number of equipment leak surveys,
                                               factors in these subpart W amendments.                  more accurate, site-specific information.             component types, number of leaking
                                               We note that the EPA/GRI data set                       Some commenters further noted that the                components, average time the
                                               provides sufficient data to develop                     site-specific data reported to the GHGRP              components were assumed to be
                                               leaker emission factors and that using                  could be used to improve the default                  leaking, and annual CO2 and CH4
                                               this data set for the leaker emission                   leaker emission factors in the future.                emissions. Facilities that conduct
                                               factors provides consistency with the                   One commenter also requested that the                 surveys using the new monitoring
                                               population emission factors used by                     EPA require quantification of any leak                methods in 40 CFR 98.234(a)(6) or (7)
                                               reporters that do not conduct equipment                 that a reporter elects not to repair.                 must also report the data elements in 40
                                               leak surveys.                                              Response: The EPA did not propose                  CFR 98.236(q)(2) for additional
                                                  The EPA agrees that there are                        and, after review and consideration of                component types specified in 40 CFR
                                               numerous recent studies that could be                   comments, is not finalizing provisions                98.232. Reporters may elect to report the
                                               used to either replace or supplement the                allowing reporters to use site-specific               data elements in 40 CFR 98.236(q)(2) for
                                               EPA/GRI study data, and many of these                   information to calculate equipment leak               the additional component types if they
                                               are described in the technical support                  emissions for subpart W. While we                     conduct surveys using a monitoring
                                               document. The EPA evaluated these                       agree that direct measurement has the                 method in 40 CFR 98.234(a)(1) through
                                               other studies and found that the leaker                 potential to provide more accurate                    (5).
                                               emission factors determined from these                  emissions data than using emission                       The data elements in 40 CFR
                                               data sets agreed reasonably well with                   factors, we would need to develop                     98.236(q)(1) and (2) are already required
                                               the leaker emission factors developed                   criteria and guidelines for using direct              to be reported by facilities conducting
                                               from the EPA/GRI data set, suggesting                   measurement data consistently across                  equipment leak surveys in the Onshore
                                               that the EPA/GRI leaker emission factors                subpart W reporters for calculating                   Natural Gas Transmission Compression,
                                               are still valid. Commenters that                        equipment leak emissions. Similarly, we               Underground Natural Gas Storage
                                               supported a different basis for the leaker              agree that using site-specific emission               (storage stations), and LNG Storage and
                                               emission factors than the EPA/GRI data                  factors can provide more accurate                     LNG Import and Export Equipment
                                               set did not provide specific information                emissions data than using default                     (components in LNG service) industry
                                               explaining why another study would be                   emission factors, but a robust set of                 segments. However, facilities in those
                                               a better basis or address any of the                    requirements would be needed for                      segments conducting equipment leak
                                               specific considerations listed above,                   reporters to use when developing their                surveys using the new OGI method or
                                               although the comments received suggest                  own emission factors to ensure that                   Method 21, as specified in the NSPS
                                               that stakeholders are interested in                     those factors are as unbiased and                     subpart OOOOa (finalized in subpart W
                                               further involvement in the assessment                   representative as possible. In addition, if           as 40 CFR 98.234(a)(6) or (7)), must
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                                               of the available data. Therefore, for the               reporters are using direct measurement                begin reporting the data elements in 40
                                               reasons stated in the preamble to the                   or their own emission factors, we would               CFR 98.236(q)(2) for component types
                                               proposed rule and the document                          most likely need to amend the reporting               with the new leaker emission factors,
                                               ‘‘Greenhouse Gas Reporting Rule:                        requirements (e.g., to require reporters              including component types that are not
                                               Technical Support for Leak Detection                    to provide site-specific emission                     currently subject to reporting. Facilities
                                               Methodology Revisions and                               factors), and we would need to consider               conducting equipment leak surveys
                                               Confidentiality Determinations for                      whether any other amendments would                    using a monitoring method in 40 CFR


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                                               86506        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               98.234(a)(1) through (5) may elect to                   commenter asserted that it is not clear               and are, therefore, not entitled to
                                               begin reporting the data elements in 40                 if the response to proposed 40 CFR                    confidential treatment under section
                                               CFR 98.236(q)(2) for other components                   98.236(q)(1)(iii) is a single yes or no for           114(c) of the CAA.24 The EPA
                                               that are not currently subject to                       each facility or if the EPA will be                   determined that the other four direct
                                               reporting.                                              expecting a yes or no response for each               emitter data categories and the eight
                                                 In addition, the EPA is finalizing as                 component type.                                       supplier data categories do not meet the
                                               proposed three new reporting                               Response: In the final rule, the EPA               definition of ‘‘emission data.’’ For these
                                               requirements for facilities conducting                  has revised the proposed requirement in               data categories that are determined not
                                               equipment leak surveys in all of the                    40 CFR 98.236(q)(1)(iii) (indicate                    to be emission data, the EPA determined
                                               above segments as well as the Onshore                   whether any component types are                       categorically that data in three direct
                                               Natural Gas Processing and Natural Gas                  subject to the NSPS subpart OOOOa) to                 emitter data categories and five supplier
                                               Distribution segments. First, facilities in             be clear that the EPA expects only one                data categories are eligible for
                                               those segments will be required to                      yes or no response for an entire facility.            confidential treatment as CBI, and that
                                               report the monitoring method(s) in 40                   While the EPA understands that the                    the data in one direct emitter data
                                               CFR 98.234(a) used to conduct the                       number of leaking components and                      category and three supplier data
                                               survey(s). Second, facilities in the above              equipment leak emissions may increase                 categories are ineligible for confidential
                                               segments except for Onshore Natural                     as the number of components subject to                treatment as CBI. For two direct emitter
                                               Gas Processing and Natural Gas                          the NSPS subpart OOOOa increases,                     data categories, ‘‘Unit/Process ‘Static’
                                               Distribution will be required to indicate               this response will allow the EPA to                   Characteristics that Are Not Inputs to
                                               whether any of their component types                    provide transparent data related to                   Emission Equations’’ and ‘‘Unit/Process
                                               are subject to the NSPS subpart OOOOa                   changes in emissions for facilities with              Operating Characteristics that Are Not
                                               well site or compressor station fugitive                components subject to the NSPS subpart                Inputs to Emission Equations,’’ and
                                               emissions requirements. Finally,                        OOOOa well site or compressor station                 three supplier data categories, ‘‘GHGs
                                               facilities with components for which the                fugitive emissions requirements over                  Reported,’’ ‘‘Production/Throughput
                                               calculation methodology based on                        time. This data element will also                     Quantities and Composition,’’ and
                                               equipment leak surveys is optional (e.g.,               support verification that the appropriate             ‘‘Unit/Process Operating
                                               facilities in the Onshore Petroleum and                 GHGRP monitoring method was used by                   Characteristics,’’ the EPA determined in
                                               Natural Gas Production segment) will be                 the facility.                                         the 2011 Final CBI Rulemaking that the
                                               required to indicate whether they                                                                             data elements assigned to those
                                               elected to use the calculation                          III. Confidentiality Determinations                   categories are not emission data, but the
                                               methodology based on equipment leak                     A. Summary of Final Confidentiality                   EPA did not make categorical CBI
                                               surveys for any of their component                      Determinations for New Subpart W Data                 determinations for them. Rather, the
                                               types at the facility.                                  Elements                                              EPA made CBI determinations for each
                                                 Additionally, in reviewing specific                                                                         individual data element included in
                                               reporting requirements while                              As noted in the proposed rule, we are
                                                                                                                                                             those categories on a case-by-case basis
                                               responding to public comments, we                       applying the same approach as
                                                                                                                                                             taking into consideration the criteria in
                                               recognized that the reporting                           previously used for making                            40 CFR 2.208. The EPA did not make a
                                               requirements at 40 CFR 98.236(r)(3)(ii)                 confidentiality determinations for data               final confidentiality determination for
                                               were unclear, and could be                              elements reported under the GHGRP. In                 data elements assigned to the inputs to
                                               misinterpreted with respect to how this                 the ‘‘Confidentiality Determinations for              emission equation data category (a
                                               reporting element relates to the                        Data Required Under the Mandatory                     direct emitter data category) in the 2011
                                               calculated emissions. Therefore, we are                 Greenhouse Gas Reporting Rule and                     Final CBI Rulemaking. However, the
                                               revising 40 CFR 98.236(r)(3)(ii) by                     Amendments to Special Rules                           EPA has since proposed and finalized
                                               adding the phrase ‘‘. . . for which                     Governing Certain Information Obtained                an approach for addressing disclosure
                                               equipment leak emissions are calculated                 Under the Clean Air Act’’ (hereafter                  concerns associated with inputs to
                                               using the methodology in § 98.233(r)’’ to               referred to as ‘‘2011 Final CBI                       emissions equations.25
                                               clarify our original intent that the major              Rulemaking’’) (76 FR 30782, May 26,                      In the proposed rule, we assigned the
                                               equipment counts reported under this                    2011), the EPA grouped part 98 data                   nine proposed new or substantially
                                               requirement are specific to equipment                   elements for which EPA was                            revised data elements to the appropriate
                                               for which emissions are calculated                      determining confidentiality status                    direct emitter data categories created in
                                               using the population count                              through that rulemaking into 22 data                  the 2011 Final CBI Rulemaking based on
                                               methodology.                                            categories (11 direct emitter data                    the type and characteristics of each data
                                                                                                       categories and 11 supplier data                       element. For the seven data elements
                                               2. Summary of Comments and                              categories) with each of the 22 data                  the EPA assigned to a direct emitter
                                               Responses                                               categories containing data elements that              category with a categorical
                                                  Comment: Two commenters                              are similar in type or characteristics.               determination, the EPA proposed that
                                               addressed the proposed requirement in                   The EPA then made categorical                         the categorical determination for the
                                               40 CFR 98.236(q)(1)(iii) to indicate                    confidentiality determinations for eight              category be applied to the proposed new
                                               whether any component types at a                        direct emitter data categories and eight              or substantially revised data elements,
                                               facility are subject to the NSPS subpart                supplier data categories and applied the
                                               OOOOa. One commenter opposed the                        categorical confidentiality                              24 Direct emitter data categories that meet the

                                               addition, stating that it is overly                     determination to all data elements                    definition of ‘‘emission data’’ in 40 CFR 2.301(a) are
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                                               burdensome to require reporters to                      assigned to the category. Of these data               ‘‘Facility and Unit Identifier Information,’’
                                                                                                                                                             ‘‘Emissions,’’ ‘‘Calculation Methodology and
                                               delineate reporting of emission sources                 categories with categorical                           Methodological Tier,’’ and ‘‘Data Elements Reported
                                               subject to the NSPS subpart OOOOa,                      determinations, the EPA determined                    for Periods of Missing Data that are not Inputs to
                                               especially if this is intended to be a                  that four direct emitter data categories              Emission Equations.’’
                                                                                                                                                                25 Revisions to Reporting and Recordkeeping
                                               numeric response regarding the number                   are comprised of those data elements                  Requirements, and Confidentiality Determinations
                                               of individual components subject to the                 that meet the definition of ‘‘emission                Under the Greenhouse Gas Reporting Program;
                                               NSPS subpart OOOOa. Another                             data,’’ as defined at 40 CFR 2.301(a),                Final Rule. (79 FR 63750, October 24, 2014).



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                                                               Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                                       86507

                                               as shown in Table 4 of this preamble.                       used for data elements previously                           With consideration of the information
                                               For the two data elements assigned to                       assigned to these two data categories, as                provided by commenters, the EPA is
                                               the ‘‘Unit/Process Operating                                shown in Table 5 of this preamble. Refer                 finalizing the confidentiality
                                               Characteristics that Are Not Inputs to                      to the preamble to the proposed rule (81                 determinations as proposed.
                                               Emission Equations,’’ we proposed                           FR 4987; January 29, 2016) for                           Specifically, the EPA is finalizing the
                                               confidentiality determinations on a                         additional information regarding the                     proposed determination for each of the
                                               case-by-case basis taking into                              proposed confidentiality                                 nine new or substantially revised data
                                               consideration the criteria in 40 CFR                        determinations.                                          elements to be designated as ‘‘emission
                                               2.208, consistent with the approach                                                                                  data’’ or ‘‘not CBI.’’
                                                   TABLE 4—FINAL DATA CATEGORY ASSIGNMENTS AND CONFIDENTIALITY DETERMINATIONS FOR NEW DATA ELEMENTS
                                                                        ASSIGNED TO CATEGORIES WITH CATEGORICAL DETERMINATIONS
                                                                                                                                                                                               Categorical determination
                                                            Citation                                         Data element                               Final category assignment             (as established in 2011) 26

                                               § 98.236(q)(1)(i) ...................    The number of complete equipment leak surveys per-             Test and Calibration Meth-             Not Emission Data and Not
                                                                                          formed during the calendar year.                               ods.                                   CBI.
                                               § 98.236(q)(1)(iii) ..................   Whether any component types were subject to 40                 Facility and Unit Identifier           Emission Data.
                                                                                          CFR part 60, subpart OOOOa.                                    Information.
                                               § 98.236(q)(1)(iv) .................     Whether you elected to comply with § 98.233(q) per             Facility and Unit Identifier           Emission Data.
                                                                                          § 98.233(q)(1)(iii).                                           Information.
                                               § 98.236(q)(1)(v) ..................     Each type of method described in § 98.234(a) that was          Test and Calibration Meth-             Not Emission Data and Not
                                                                                          used to conduct leak surveys.                                  ods.                                   CBI.
                                               § 98.236(q)(2)(i) ...................    For each component type that is located at your facil-         Facility and Unit Identifier           Emission Data.
                                                                                          ity, component type.                                           Information.
                                               § 98.236(q)(2)(iv) .................     For each component type that is located at your facil-         Emissions ..........................   Emission Data.
                                                                                          ity, annual CO2 emissions, in metric tons CO2.
                                               § 98.236(q)(2)(v) ..................     For each component type that is located at your facil-         Emissions ..........................   Emission Data.
                                                                                          ity, annual CH4 emissions, in metric tons CH4.




                                                             TABLE 5—FINAL CONFIDENTIALITY FOR DATA ELEMENTS ASSIGNED TO THE ‘‘UNIT/PROCESS OPERATING
                                                                    CHARACTERISTICS THAT ARE NOT INPUTS TO EMISSION EQUATIONS’’ DATA CATEGORY
                                                             Citation                          Data element                                   Final confidentiality determination and rationale

                                               § 98.236(q)(2)(ii) ...................   For each component type         Not Emission Data (Categorical Determination as Established in 2011).
                                                                                          that is located at your fa-   Not CBI. The term ‘‘equipment leaks’’ refers to those emissions which could not
                                                                                          cility, total number of the     reasonably pass through a stack, chimney, vent, or other functionally-equivalent
                                                                                          surveyed component type         opening. Leaking components at a facility may have a correlation to the level of
                                                                                          that were identified as         maintenance at a facility. However, there is no direct correlation between the
                                                                                          leaking in the calendar         level of maintenance and process efficiency, i.e., a higher number of leaks in one
                                                                                          year (‘‘xp’’ in Equation        facility do not indicate that the processes have been running longer or more fre-
                                                                                          W–30).                          quently than those processes at another facility that has a lower number of leaks.
                                                                                                                          Furthermore, Department of Transportation (DOT) regulations require natural gas
                                                                                                                          distribution companies and transmission pipeline companies to conduct periodic
                                                                                                                          leak detection and fix any leaking equipment. The number of leaks detected and
                                                                                                                          fixed is reported to the DOT and is publicly available. Finally, 40 CFR part 60,
                                                                                                                          subpart OOOOa requires reporting for each component with visible emissions at
                                                                                                                          affected well sites and compressor station sites. The EPA is finalizing that this
                                                                                                                          data element is not confidential; and that it will be considered ‘‘not CBI.’’
                                               § 98.236(q)(2)(iii) ..................   For each component type         Not Emission Data (Categorical Determination as Established in 2011).
                                                                                          that is located at your fa-   Not CBI. This data element will provide information on the amount of time oper-
                                                                                          cility, average time the        ational components were found to be leaking. This information provides little in-
                                                                                          surveyed components             sight into maintenance practices at a facility because it does not identify the
                                                                                          are assumed to be leak-         cause of the leaks or the nature and cost of repairs. Therefore, this information
                                                                                          ing and operational, in         would not be likely to cause substantial competitive harm to reporters. For this
                                                                                          hours (average of ‘‘Tp,z’’      reason, we are finalizing the average time operational components were found
                                                                                          from Equation W–30).            leaking be designated as ‘‘not CBI.’’



                                               B. Summary of Comments and                                  proposed categorical assignments and                     Detection Methodology Revisions and
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                                               Responses                                                   confidentiality determinations. See                      Confidentiality Determinations for
                                                                                                           ‘‘Response to Public Comments on                         Petroleum and Natural Gas Systems’’ in
                                                 This section summarizes the major                         Greenhouse Gas Reporting Rule: Leak                      Docket ID No. EPA–HQ–OAR–2015–
                                               comments and responses related to the


                                                  26 The categorical confidentiality determinations

                                               for the data categories listed in this table were
                                               finalized on May 26, 2011 (see 76 FR 30782).

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                                               86508        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               0764 for a complete listing of all                      Onshore Natural Gas Transmission                      per year for all reporters, or about $286
                                               comments and responses. See the                         Compression, Underground Natural Gas                  per reporter. See the memorandum,
                                               memorandum ‘‘Final Data Category                        Storage, LNG Storage, and LNG Import                  ‘‘Assessment of Impacts of the Final
                                               Assignments and Confidentiality                         and Export Equipment. Reporters in                    Leak Detection Methodology Revisions
                                               Determinations for Data Elements in the                 these industry segments are required to               and Confidentiality Determinations for
                                               ‘Greenhouse Gas Reporting Rule: Leak                    use the results of fugitive emissions                 Petroleum and Natural Gas Systems’’ in
                                               Detection Methodology Revisions and                     component monitoring required for well                Docket ID No. EPA–HQ–OAR–2015–
                                               Confidentiality Determinations for                      sites and compressor stations under the               0764 for additional information.
                                               Petroleum and Natural Gas Systems;                      NSPS subpart OOOOa. Reporters in
                                                                                                                                                             B. Summary of Comments and
                                               Final Rule’ ’’ in Docket ID No. EPA–HQ–                 these segments with components not
                                                                                                                                                             Responses
                                               OAR–2015–0764 for a complete listing                    subject to the NSPS subpart OOOOa
                                               of final data category assignments and                  well site or compressor station fugitive                This section summarizes the major
                                               confidentiality determinations.                         emissions requirements and for which                  comments and responses related to the
                                                  Comment: One commenter stated that                   they are currently required to use the                impacts of the proposed amendments to
                                               the EPA should reconsider the proposed                  calculation methodology based on                      subpart W of part 98. We note that while
                                               determination of ‘‘not CBI’’ for the                    population counts under subpart W may                 several commenters asserted that the
                                               number of components identified as                      voluntarily use the calculation                       proposed rule would be burdensome for
                                               leaking in a calendar year and the                      methodology based on equipment leak                   many operators and suggested revisions
                                               average time the surveyed components                    surveys for those components if the                   to the rule requirements that would
                                               are assumed to be leaking. The                          equipment leak survey is conducted                    reduce the burden, only one commenter
                                               commenter asserted that designating                     following a monitoring method listed in               provided comments on the EPA’s
                                               this information as CBI would                           subpart W.                                            impacts estimate and supporting
                                               encourage more reporters to voluntarily                    The EPA received comments from one                 statement, and that commenter’s major
                                               conduct leak surveys. The commenter                     commenter regarding the specific                      comments are summarized in this
                                               also noted that this information is                     impacts of the proposed amendments.                   section. See ‘‘Response to Public
                                               publically available for some sources                   After evaluating these comments and                   Comments on Greenhouse Gas
                                               and suggested that the rule provide an                  reviewing other changes from proposal,                Reporting Rule: Leak Detection
                                               exception from classification as CBI for                the EPA revised the impacts assessment                Methodology Revisions and
                                               components subject to State programs or                 from proposal. The EPA estimates that                 Confidentiality Determinations for
                                               NSPS that already require public                        the costs of the final amendments to                  Petroleum and Natural Gas Systems’’ in
                                               disclosure. Another commenter                           subpart W are slightly more burdensome                Docket ID No. EPA–HQ–OAR–2015–
                                               requested that the EPA protect the                      than we estimated at proposal, but they               0764 for a complete listing of all
                                               community’s right to know and not                       do not significantly change the overall               comments and responses.
                                               allow companies to keep the public                      burden to subpart W reporters. The EPA                  Comment: One commenter stated that
                                               from finding out about leaks from                       estimated that the additional costs to                the EPA’s estimate of two hours of labor
                                               hydrocarbon facilities.                                 subpart W reporters in the Onshore                    and $198 per reporter significantly
                                                  Response: While it is possible that the              Petroleum and Natural Gas Production                  underestimates and misrepresents the
                                               requirement to report the number of                     and the Onshore Petroleum and Natural                 amount of time and effort that goes into
                                               leaking components and the average                      Gas Gathering and Boosting industry                   implementing a new rule. The
                                               time those components were leaking                      segments to transition their existing                 commenter provided a cost estimate that
                                               could discourage some reporters from                    equipment leak recordkeeping,                         assumes more labor hours than in the
                                               conducting voluntary equipment leak                     calculating, and reporting systems to                 EPA’s memorandum ‘‘Assessment of
                                               surveys, this is not a valid reason to                  use the calculation methodology based                 Impacts of the Leak Detection
                                               allow reporters to claim these data                     on equipment leak surveys and to                      Methodology Revisions and
                                               elements as confidential. As noted in                   determine which components are                        Confidentiality Determinations for
                                               section III.C of the preamble to the                    subject to the NSPS subpart OOOOa                     Petroleum and Natural Gas Systems’’
                                               proposed rule, the EPA proposed that                    well site or compressor station fugitive              (Docket Item No. EPA–HQ–OAR–2015–
                                               disclosure of these data elements is                    emissions requirements and which are                  0764–0025). The commenter noted that
                                               unlikely to cause substantial harm to a                 not, will be approximately $110,000 per               as more sites become subject to the
                                               business’s competitive position, and the                year, or about $410 per reporter. The                 NSPS subpart OOOOa at a facility, the
                                               commenter did not indicate that the                     EPA estimated that the additional costs               costs of managing the data and
                                               EPA’s determination was incorrect.                      for subpart W reporters in the other                  processing it into a usable format for the
                                               Therefore, the EPA is finalizing the                    industry segments (i.e., Onshore Natural              GHGRP will increase each year for that
                                               confidentiality determinations for these                Gas Transmission Compression,                         reporter. The commenter also noted that
                                               data elements as ‘‘not CBI.’’                           Underground Natural Gas Storage,                      the EPA was incorrect in assuming that
                                               IV. Impacts of the Final Amendments to                  Liquefied Natural Gas (LNG) Storage,                  there would be no costs for facilities in
                                               Subpart W                                               and LNG Import and Export Equipment)                  the Onshore Natural Gas Processing
                                                                                                       to add a few new emission factors to                  segment.
                                               A. Impacts of the Final Amendments                      their existing systems (rather than                     Response: The EPA has evaluated the
                                                 The final amendments to subpart W                     transitioning their recordkeeping,                    comments and has made changes to the
                                               revise costs associated with the use of                 calculating, and reporting systems) and               estimate of burden in the supporting
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                                               the monitoring methods and the                          to determine which components are                     statement. The following paragraphs
                                               calculation methodology based on                        covered by the NSPS subpart OOOOa                     address each of the points in the
                                               equipment leak surveys for reporters in                 well site or compressor station fugitive              commenter’s detailed cost estimate
                                               the following industry segments:                        emissions requirements and which are                  included with the comment letter and
                                               Onshore Petroleum and Natural Gas                       not, will be approximately $20,000 per                explain how the points are being
                                               Production, Onshore Petroleum and                       year or about $110 per reporter. The                  addressed in the final burden and cost
                                               Natural Gas Gathering and Boosting,                     total costs are approximately $128,400                estimate.


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                                                            Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                        86509

                                                  The commenter suggested adding                       the EPA has made no changes to burden                 response do not apply to the Onshore
                                               burden of two hours in the first year                   associated with maintenance of the                    Natural Gas Processing segment).
                                               related to the initial monitoring plan                  revised reporting system because the                     Overall, the burden and cost estimate
                                               development and burden of 0.5 hours in                  EPA asserts that any reporting system                 has been revised as discussed above
                                               subsequent years related to yearly                      maintenance related to subpart W is                   from 502 hours and $50,000 per year at
                                               monitoring plan revisions. The EPA did                  already reflected in the twenty hours                 proposal to approximately 1,295 hours
                                               not include costs at proposal related to                per year allotted to each subpart W                   and $128,400 per year for all reporters.
                                               the monitoring plan because the subpart                 reporter for recordkeeping and reporting
                                               W amendments do not require the                         activities.                                           V. Statutory and Executive Order
                                               development of a separate monitoring                                                                          Reviews
                                                                                                         The commenter suggested that the
                                               plan. Instead, the subpart W                            EPA adjust the proposed burden and                      Additional information about these
                                               amendments cross reference the                          cost estimate by adding the following                 statutes and Executive Orders can be
                                               monitoring plan that is already being                   activities and burden estimates: (1)                  found at http://www2.epa.gov/laws-and-
                                               developed according to the NSPS                         Time for staff to process the survey data             executive orders.
                                               subpart OOOOa. The EPA recognizes                       resulting from the calculation
                                               that reporters that are not subject to the                                                                    A. Executive Order 12866: Regulatory
                                                                                                       methodology based on equipment leak
                                               NSPS subpart OOOOa would not                                                                                  Planning and Review and Executive
                                                                                                       surveys and to enter it into the GHGRP
                                               already be required to develop a                                                                              Order 13563: Improving Regulation and
                                                                                                       system at a burden of three hours per
                                               monitoring plan under the NSPS                                                                                Regulatory Review
                                                                                                       year; (2) time for staff training at a
                                               subpart OOOOa; however, reporters that                  burden of two hours for initial training                This action is not a significant
                                               elect to use one of the new leak                        and one hour per year in subsequent                   regulatory action and was therefore not
                                               detection methods are also electing to                  years; and (3) time for staff to review the           submitted to the Office of Management
                                               incur the burden of developing a                        data for quality assurance, follow                    and Budget (OMB) for review.
                                               monitoring plan. Therefore, there is no                 missing data requirements, report data
                                               monitoring plan burden associated with                                                                        B. Paperwork Reduction Act (PRA)
                                                                                                       to the EPA, and retain all records at a
                                               the subpart W amendments and the                        burden of four total hours per year.                     The information collection activities
                                               final burden and cost estimate has not                    At proposal, the EPA did not include                in this rule have been submitted for
                                               changed from proposal as a result of this               burden related to these activities                    approval to the OMB under the PRA.
                                               comment.                                                because they are covered by the twenty                The Information Collection Request
                                                  The commenter suggested changing                     hours per year already accounted for in               (ICR) document that the EPA prepared
                                               the number of hours to revise the                       the overall subpart W reporter burden                 has been assigned EPA ICR number
                                               reporting system to five hours and to                   for recordkeeping and reporting                       2300.19. You can find a copy of the ICR
                                               allow one hour for maintenance in each                  activities. Therefore, the final burden               in the docket for this rule, and it is
                                               subsequent year. At proposal, the EPA                   and cost estimate has not changed from                briefly summarized here. The
                                               estimated that revising the reporting                   proposal as a result of these comments.               information collection requirements are
                                               system to use the calculation                             However, at proposal, the EPA did not               not enforceable until OMB approves
                                               methodology based on equipment leak                     account for the time associated with                  them.
                                               surveys would require two hours. The                    determining which components in the                      This action increases burden for
                                               commenter did not provide the basis for                 reporting system are covered by the                   industry segments that conduct
                                               their estimate of five hours to update the              NSPS subpart OOOOa well site or                       equipment leak surveys. These revisions
                                               data management system. The overall                     compressor station fugitive emissions                 are expected to increase respondent
                                               reporting costs for compliance already                  requirements and which are not. As a                  burden for subpart W reporters that
                                               include a burden of ten hours per year                  result, the EPA has added 0.5 hours per               become subject to the NSPS subpart
                                               and the EPA disagrees that updating the                 reporter in the first year that the reporter          OOOOa well site or compressor station
                                               data management system would                            has an affected collection of fugitive                fugitive requirements. To accommodate
                                               encompass half of that allotment                        emissions components subject to the                   the new methods and emission factors
                                               because EPA anticipates that reporters                  NSPS subpart OOOOa well site or                       added by these final amendments, the
                                               would only need to add a few emission                   compressor station fugitive emissions                 EPA expects that each affected subpart
                                               factors for leaking components to their                 requirements and 0.1 hours per reporter               W reporter will either revise their
                                               existing system, rather than something                  in subsequent years.                                  reporter-specific calculation mechanism
                                               more time-intensive such as creating a                    Finally, for the reasons described in               (i.e., calculation spreadsheet,
                                               new data management system. We                          section II.B.2 of this preamble, the final            recordkeeping database, etc.) or add a
                                               reviewed the revisions expected to be                   rule language specifies that the                      few new emission factors to the
                                               needed in the data management system.                   requirement to use the NSPS subpart                   reporter-specific calculation
                                               While we maintain that two hours are                    OOOOa results as part of the calculation              mechanism, when and if the reporter
                                               sufficient to implement the calculation                 methodology based on equipment leak                   becomes subject to the NSPS subpart
                                               methodology based on equipment leak                     surveys only applies to components                    OOOOa well site or compressor station
                                               surveys into a reporter’s existing system,              subject to the NSPS subpart OOOOa                     fugitive requirements. The
                                               we recognize that this process will also                well site or compressor station fugitive              recordkeeping and reporting
                                               require quality assurance reviews and                   emissions requirements. The subpart W                 requirements are being finalized as
                                               testing to ensure the data are stored                   equipment leak survey requirements for                proposed. Impacts associated with the
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                                               properly and the calculations are                       facilities in the Onshore Natural Gas                 final revisions to the recordkeeping and
                                               performed correctly. Therefore, we                      Processing segment do not change as a                 reporting requirements are detailed in
                                               increased the number of hours                           result of these amendments. Therefore,                the memorandum ‘‘Assessment of
                                               estimated to revise the reporting system                the EPA is not including any burden                   Impacts of the Final Leak Detection
                                               from two hours to 3.5 hours to account                  estimate for Onshore Natural Gas                      Methodology Revisions and
                                               for these additional quality reviews of                 Processing reporters (i.e., the revisions             Confidentiality Determinations for
                                               the data management system. However,                    to the burden estimate described in this              Petroleum and Natural Gas Systems’’


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                                               86510        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               (see Docket ID No. EPA–HQ–OAR–                          exceeding the reporting threshold. This               subpart W 2010 final rule published on
                                               2015–0764).                                             action includes amendments that may                   November 30, 2010 (75 FR 74458).
                                                  Data collection provides a critical tool             result in a small burden increase on
                                               for communities to identify nearby                      some subpart W reporters, but the EPA                 G. Executive Order 13045: Protection of
                                               sources of GHGs and provides                            has determined that the increased cost                Children From Environmental Health
                                               information to state and local                          of less than $286 per reporter is not a               Risks and Safety Risks
                                               governments. The data can be used to                    significant impact. Details of this                     The EPA interprets Executive Order
                                               complement atmospheric GHG studies                      analysis are presented in ‘‘Assessment                13045 as applying only to those
                                               and inform updates to emission                          of Impacts of the Final Leak Detection                regulatory actions that concern
                                               inventories such as the Inventory of U.S.               Methodology Revisions and                             environmental health or safety risks that
                                               Greenhouse Gas Emissions and Sinks                      Confidentiality Determinations for                    the EPA has reason to believe may
                                               (Inventory). Various activity data are                  Petroleum and Natural Gas Systems’’ in                disproportionately affect children, per
                                               collected that can be used to improve                   Docket ID No. EPA–HQ–OAR–2015–                        the definition of ‘‘covered regulatory
                                               understanding of the occurrence of                      0764.                                                 action’’ in section 2–202 of the
                                               emissions from a variety of sources.                                                                          Executive Order. This action is not
                                                  Data collected must be made available                D. Unfunded Mandates Reform Act
                                                                                                       (UMRA)                                                subject to Executive Order 13045
                                               to the public unless the data qualify for                                                                     because it does not concern an
                                               CBI treatment under the CAA and EPA                        This action does not contain an                    environmental health risk or safety risk.
                                               regulations. All data determined by the                 unfunded mandate of $100 million or
                                               EPA to be CBI are safeguarded in                        more as described in UMRA, 2 U.S.C.                   H. Executive Order 13211: Actions That
                                               accordance with regulations in 40 CFR                   1531–1538, and does not significantly or              Significantly Affect Energy Supply,
                                               chapter 1, part 2, subpart B.                           uniquely affect small governments. As                 Distribution, or Use
                                                  Respondents/affected entities: The                   shown in sections IV.A and V.B of this
                                               respondents in this information                         preamble, the annual cost of this action                This action is not subject to Executive
                                               collection include owners and operators                 is $128,400, which is well under $100                 Order 13211, because it is not a
                                               of petroleum and natural gas systems                    million per year.                                     significant regulatory action under
                                               facilities that report their GHG                                                                              Executive Order 12866.
                                               emissions from equipment leaks to the                   E. Executive Order 13132: Federalism
                                                                                                                                                             I. National Technology Transfer and
                                               EPA to comply with subpart W.                             This action does not have federalism                Advancement Act (NTTAA)
                                                  Respondent’s obligation to respond:                  implications. It will not have substantial
                                               The respondent’s obligation to respond                  direct effects on the states, on the                    This rulemaking does not involve
                                               is mandatory under the authority                        relationship between the national                     technical standards.
                                               provided in CAA section 114.                            government and the states, or on the
                                                  Estimated number of respondents:                                                                           J. Executive Order 12898: Federal
                                                                                                       distribution of power and                             Actions To Address Environmental
                                               Approximately 899 respondents per                       responsibilities among the various
                                               year.                                                                                                         Justice in Minority Populations and
                                                                                                       levels of government.                                 Low-Income Populations
                                                  Frequency of response: Annual.
                                                  Total estimated burden: 1,295 hours                  F. Executive Order 13175: Consultation
                                               (per year). Burden is defined at 5 CFR                  and Coordination With Indian Tribal                     The EPA believes that this action is
                                               1320.3(b).                                              Governments                                           not subject to Executive Order 12898 (59
                                                  Total estimated cost: $128,400 (per                                                                        FR 7629, February 16, 1994) because it
                                               year), includes $0 annualized capital or                   This action has tribal implications.               does not establish an environmental
                                               operation and maintenance costs.                        However, it will neither impose                       health or safety standard. Instead, this
                                                  An agency may not conduct or                         substantial direct compliance costs on                rule addresses information collection
                                               sponsor, and a person is not required to                federally recognized tribal governments,              and reporting and verification
                                               respond to, a collection of information                 nor preempt tribal law. This regulation               procedures.
                                               unless it displays a currently valid OMB                will apply directly to petroleum and
                                                                                                       natural gas facilities that emit GHGs.                K. Congressional Review Act (CRA)
                                               control number. The OMB control
                                               numbers for the EPA’s regulations in 40                 Although few facilities that will be                    This action is subject to the CRA, and
                                               CFR are listed in 40 CFR part 9. When                   subject to the rule are likely to be owned            the EPA will submit a rule report to
                                               OMB approves this ICR, the EPA will                     by tribal governments, the EPA sought                 each House of the Congress and to the
                                               announce that approval in the Federal                   opportunities to provide information to               Comptroller General of the United
                                               Register and publish a technical                        tribal governments and representatives                States. This action is not a ‘‘major rule’’
                                               amendment to 40 CFR part 9 to display                   during the development of the proposed                as defined by 5 U.S.C. 804(2).
                                               the OMB control number for the                          and final subpart W that was
                                               approved information collection                         promulgated on November 30, 2010 (75                  List of Subjects in 40 CFR Part 98
                                               activities contained in this final rule.                FR 74458).
                                                                                                          The EPA consulted with tribal                        Environmental protection,
                                               C. Regulatory Flexibility Act (RFA)                     officials under the EPA Policy on                     Administrative practice and procedure,
                                                  I certify that this action will not have             Consultation and Coordination with                    Greenhouse gases, Reporting and
                                               a significant economic impact on a                      Indian Tribes early in the process of                 recordkeeping requirements.
                                               substantial number of small entities                    developing this regulation to permit                    Dated: November 10, 2016.
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                                               under the RFA. The small entities                       them to have meaningful and timely                    Gina McCarthy,
                                               directly regulated by this final rule                   input into its development. A summary                 Administrator.
                                               include small businesses in the                         of that consultation is provided in
                                               petroleum and natural gas industry. The                 section IV.F of the preamble to the re-                 For the reasons stated in the
                                               EPA has determined that some small                      proposal of subpart W published on                    preamble, title 40, chapter I, of the Code
                                               businesses will be affected because their               April 12, 2010 (75 FR 18608), and                     of Federal Regulations is amended as
                                               production processes emit GHGs                          section IV.F of the preamble to the                   follows:


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                                                            Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                          86511

                                               PART 98—MANDATORY                                       storage stations, are not listed in                   detection method described in
                                               GREENHOUSE GAS REPORTING                                paragraph (f)(1), (2), or (5) of this                 § 98.234(a)(6) or (7). If these components
                                                                                                       section, and are either subject to the                are not subject to the well site or
                                               ■ 1. The authority citation for part 98                 well site or compressor station fugitive              compressor station fugitive emissions
                                               continues to read as follows:                           emissions standards in § 60.5397a of                  standards in § 60.5397a of this chapter,
                                                   Authority: 42 U.S.C. 7401–7671q.                    this chapter or you elect to survey using             you may also elect to report emissions
                                                                                                       a leak detection method described in                  from these components if you elect to
                                               Subpart W—Petroleum and Natural                         § 98.234(a)(6) or (7). If these other                 survey them using a leak detection
                                               Gas Systems                                             components are not subject to the well                method described in § 98.234(a)(1)
                                                                                                       site or compressor station fugitive                   through (5).
                                               ■ 2. Section 98.232 is amended by:                      emissions standards in § 60.5397a of                     (h) * * *
                                               ■ a. Revising paragraph (c)(21);                        this chapter, you may also elect to                      (4) Flare stack emissions.
                                               ■ b. Adding paragraph (e)(8);                           report emissions from these other                        (5) Equipment leaks from valves,
                                               ■ c. Revising paragraph (f)(5);                         components if you elect to survey them                pump seals, connectors, and other
                                               ■ d. Adding paragraphs (f)(6) through                   using a leak detection method described               equipment leak sources in LNG service.
                                               (8);                                                    in § 98.234(a)(1) through (5).                           (6) Equipment leaks from vapor
                                               ■ e. Revising paragraphs (g)(3) and (4);                   (7) Equipment leaks from valves,                   recovery compressors, if you do not
                                               ■ f. Adding paragraphs (g)(5) through                   connectors, open-ended lines, and                     survey components associated with
                                               (7);                                                    pressure relief valves associated with                vapor recovery compressors in
                                               ■ g. Revising paragraphs (h)(4) and (5);                storage wellheads.                                    accordance with paragraph (h)(7) of this
                                               ■ h. Adding paragraphs (h)(6) through                      (8) Equipment leaks from all other                 section.
                                               (8); and                                                components that are associated with                      (7) Equipment leaks from all
                                               ■ i. Revising paragraph (j)(10).                        storage wellheads, are not listed in                  components in gas service that are
                                                 The revisions and additions read as                   paragraph (f)(1), (2), or (7) of this                 associated with a vapor recovery
                                               follows:                                                section, and are either subject to the                compressor, are not listed in paragraph
                                                                                                       well site or compressor station fugitive              (h)(1) or (2) of this section, and that are
                                               § 98.232   GHGs to report.                                                                                    either subject to the well site or
                                                                                                       emissions standards in § 60.5397a, of
                                               *      *     *    *      *                                                                                    compressor station fugitive emissions
                                                                                                       this chapter or you elect to survey using
                                                  (c) * * *                                                                                                  standards in § 60.5397a of this chapter
                                                                                                       a leak detection method described in
                                                  (21) Equipment leaks from valves,                                                                          or you elect to survey using a leak
                                                                                                       § 98.234(a)(6) or (7). If these other
                                               connectors, open ended lines, pressure                                                                        detection method described in
                                                                                                       components are not subject to the well
                                               relief valves, pumps, flanges, and other                                                                      § 98.234(a).
                                                                                                       site or compressor station fugitive
                                               components (such as instruments,                                                                                 (8) Equipment leaks from all
                                                                                                       emissions standards in § 60.5397a of
                                               loading arms, stuffing boxes,                                                                                 components in gas service that are not
                                                                                                       this chapter, you may also elect to
                                               compressor seals, dump lever arms, and                                                                        associated with a vapor recovery
                                                                                                       report emissions from these other
                                               breather caps, but does not include                                                                           compressor, are not listed in paragraph
                                                                                                       components if you elect to survey them
                                               components listed in paragraph (c)(11)                                                                        (h)(1) or (2) of this section, and that are
                                                                                                       using a leak detection method described
                                               or (19) of this section, and it does not                                                                      either subject to the well site or
                                                                                                       in § 98.234(a)(1) through (5).
                                               include thief hatches or other openings                    (g) * * *                                          compressor station fugitive emissions
                                               on a storage vessel).                                      (3) Flare stack emissions.                         standards in § 60.5397a of this chapter
                                               *      *     *    *      *                                 (4) Equipment leaks from valves,                   or you elect to survey using a leak
                                                  (e) * * *                                            pump seals, connectors, and other                     detection method described in
                                                  (8) Equipment leaks from all other                   equipment leak sources in LNG service.                § 98.234(a)(6) or (7). If these components
                                               components that are not listed in                          (5) Equipment leaks from vapor                     are not subject to the well site or
                                               paragraph (e)(1), (2), or (7) of this                   recovery compressors, if you do not                   compressor station fugitive emissions
                                               section and are either subject to the well              survey components associated with                     standards in § 60.5397a of this chapter,
                                               site or compressor station fugitive                     vapor recovery compressors in                         you may also elect to report emissions
                                               emissions standards in § 60.5397a of                    accordance with paragraph (g)(6) of this              from these components if you elect to
                                               this chapter or you elect to survey using               section.                                              survey them using a leak detection
                                               a leak detection method described in                       (6) Equipment leaks from all                       method described in § 98.234(a)(1)
                                               § 98.234(a)(6) or (7). The other                        components in gas service that are                    through (5).
                                               components subject to this paragraph                    associated with a vapor recovery                      *       *    *     *     *
                                               (e)(8) also do not include thief hatches                compressor, are not listed in paragraph                  (j) * * *
                                               or other openings on a storage vessel. If               (g)(1) or (2) of this section, and that are              (10) Equipment leaks from valves,
                                               these other components are not subject                  either subject to the well site or                    connectors, open ended lines, pressure
                                               to the well site or compressor station                  compressor station fugitive emissions                 relief valves, pumps, flanges, and other
                                               fugitive emissions standards in                         standards in § 60.5397a of this chapter               components (such as instruments,
                                               § 60.5397a of this chapter, you may also                or you elect to survey using a leak                   loading arms, stuffing boxes,
                                               elect to report emissions from these                    detection method described in                         compressor seals, dump lever arms, and
                                               other components if you elect to survey                 § 98.234(a).                                          breather caps, but does not include
                                               them using a leak detection method                         (7) Equipment leaks from all                       components in paragraph (j)(8) or (9) of
                                               described in § 98.234(a)(1) through (5).                components in gas service that are not                this section, and it does not include
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                                                  (f) * * *                                            associated with a vapor recovery                      thief hatches or other openings on a
                                                  (5) Equipment leaks from valves,                     compressor, are not listed in paragraph               storage vessel).
                                               connectors, open ended lines, pressure                  (g)(1) or (2) of this section, and are                *       *    *     *     *
                                               relief valves, and meters associated with               either subject to the well site or                    ■ 3. Section 98.233 is amended by:
                                               storage stations.                                       compressor station fugitive emissions                 ■ a. Revising the parameter EFt of
                                                  (6) Equipment leaks from all other                   standards in § 60.5397a of this chapter               Equation W–1 in paragraph (a)
                                               components that are associated with                     or you elect to survey using a leak                   introductory text, and paragraph (q);


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                                               86512        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               ■  b. Removing the first two sentences of                  (1) Survey requirements. (i) For the               (h)(7), or (j)(10) using the procedures in
                                               paragraph (r) introductory text and                     components listed in § 98.232(e)(7),                  paragraph (q)(2) of this section.
                                               adding four sentences in their place;                   (f)(5), (g)(4), and (h)(5), that are not                 (B) If you elect to use a leak detection
                                               and                                                     subject to the well site or compressor                method in § 98.234(a)(1) through (5) for
                                               ■ c. Revising the parameters Counte and                 station fugitive emissions standards in               the surveyed component types in
                                               EFs,e of Equation W–32A in paragraph                    § 60.5397a of this chapter, you must                  § 98.232(e)(8), (f)(6), (f)(8), (g)(7), and
                                               (r) introductory text, and paragraphs                   conduct surveys using any of the leak                 (h)(8), then you must use the procedures
                                               (r)(3) through (5).                                     detection methods listed in § 98.234(a)               in paragraph (q)(2) of this section to
                                                  The revisions read as follows:                       and calculate equipment leak emissions                calculate those emissions.
                                               § 98.233   Calculating GHG emissions.
                                                                                                       using the procedures specified in                        (C) If you elect to use a leak detection
                                                                                                       paragraph (q)(2) of this section.                     method in § 98.234(a)(6) or (7) for any
                                               *     *    *         *      *
                                                                                                          (ii) For the components listed in                  elective survey under this subparagraph
                                                 (a) * * *
                                                                                                       § 98.232(d)(7) and (i)(1), you must                   (q)(1)(iv), then you must survey the
                                               *     *    *         *      *                                                                                 component types in § 98.232(c)(21),
                                                                                                       conduct surveys using any of the leak
                                               EFt = Population emission factors for natural           detection methods listed in                           (e)(8), (f)(6), (f)(7), (f)(8), (g)(6), (g)(7),
                                                   gas pneumatic device vents (in standard                                                                   (h)(7), (h)(8), and (j)(10) that are not
                                                                                                       § 98.234(a)(1) through (5) and calculate
                                                   cubic feet per hour per device) of each                                                                   subject to fugitive emissions standards
                                                   type ‘‘t’’ listed in Tables W–1A, W–3B,             equipment leak emissions using the
                                                   and W–4B to this subpart for onshore                procedures specified in paragraph (q)(2)              in § 60.5397a of this chapter, and you
                                                   petroleum and natural gas production,               of this section.                                      must calculate emissions from the
                                                   onshore natural gas transmission                                                                          surveyed component types in
                                                                                                          (iii) For the components listed in
                                                   compression, and underground natural                                                                      § 98.232(c)(21), (e)(8), (f)(6), (f)(7), (f)(8),
                                                                                                       § 98.232(c)(21), (e)(7), (e)(8), (f)(5), (f)(6),
                                                   gas storage facilities, respectively.                                                                     (g)(6), (g)(7), (h)(7), (h)(8), and (j)(10)
                                                   Onshore petroleum and natural gas                   (f)(7), (f)(8), (g)(4), (g)(6), (g)(7), (h)(5),
                                                                                                                                                             using the emission calculation
                                                   gathering and boosting facilities must              (h)(7), (h)(8), and (j)(10) that are subject
                                                                                                                                                             requirements in paragraph (q)(2) of this
                                                   use the population emission factors                 to the well site or compressor station
                                                                                                                                                             section.
                                                   listed in Table W–1A to this subpart.               fugitive emissions standards in
                                                                                                                                                                (2) Emission calculation methodology.
                                                                                                       § 60.5397a of this chapter, you must
                                               *      *      *     *    *                                                                                    For industry segments listed in
                                                                                                       conduct surveys using any of the leak
                                                  (q) Equipment leak surveys. For the                                                                        § 98.230(a)(2) through (9), if equipment
                                                                                                       detection methods in § 98.234(a)(6) or
                                               components identified in paragraphs                                                                           leaks are detected during surveys
                                                                                                       (7) and calculate equipment leak
                                               (q)(1)(i) through (iii) of this section, you                                                                  required or elected for components
                                                                                                       emissions using the procedures
                                               must conduct equipment leak surveys                                                                           listed in paragraphs (q)(1)(i) through (iv)
                                                                                                       specified in paragraph (q)(2) of this
                                               using the leak detection methods                                                                              of this section, then you must calculate
                                                                                                       section.
                                               specified in paragraphs (q)(1)(i) through                                                                     equipment leak emissions per
                                               (iii) of this section. For the components                  (iv) For the components listed in                  component type per reporting facility
                                               identified in paragraph (q)(1)(iv) of this              § 98.232(c)(21), (e)(8), (f)(6), (f)(7), (f)(8),      using Equation W–30 of this section and
                                               section, you may elect to conduct                       (g)(6), (g)(7), (h)(7), (h)(8), or (j)(10), that      the requirements specified in
                                               equipment leak surveys, and if you elect                are not subject to fugitive emissions                 paragraphs (q)(2)(i) through (xi) of this
                                               to conduct surveys, you must use a leak                 standards in § 60.5397a of this chapter,              section. For the industry segment listed
                                               detection method specified in paragraph                 you may elect to conduct surveys                      in § 98.230(a)(8), the results from
                                               (q)(1)(iv) of this section. This paragraph              according to this paragraph (q), and, if              Equation W–30 are used to calculate
                                               (q) applies to components in streams                    you elect to do so, then you must use                 population emission factors on a meter/
                                               with gas content greater than 10 percent                one of the leak detection methods in                  regulator run basis using Equation W–31
                                               CH4 plus CO2 by weight. Components in                   § 98.234(a).                                          of this section. If you chose to conduct
                                               streams with gas content less than or                      (A) If you elect to use a leak detection           equipment leak surveys at all above
                                               equal to 10 percent CH4 plus CO2 by                     method in § 98.234(a)(1) through (5) for              grade transmission-distribution transfer
                                               weight are exempt from the                              the surveyed component types in                       stations over multiple years, ‘‘n,’’
                                               requirements of this paragraph (q) and                  § 98.232(c)(21), (f)(7), (g)(6), (h)(7), or           according to paragraph (q)(2)(x)(A) of
                                               do not need to be reported. Tubing                      (j)(10) in lieu of the population count               this section, then you must calculate the
                                               systems equal to or less than one half                  methodology specified in paragraph (r)                emissions from all above grade
                                               inch diameter are exempt from the                       of this section, then you must calculate              transmission-distribution transfer
                                               requirements of this paragraph (q) and                  emissions for the surveyed component                  stations as specified in paragraph
                                               do not need to be reported.                             types in § 98.232(c)(21), (f)(7), (g)(6),             (q)(2)(xi) of this section.




                                               Where:                                                       survey during the year. A component                  petroleum and natural gas gathering and
                                               Es,p,i = Annual total volumetric emissions of                found leaking in two or more surveys                 boosting facilities, concentration of
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                                                     GHGi from specific component type ‘‘p’’                during the year is counted as one leaking            GHGi, CH4, or CO2, in produced natural
                                                     (in accordance with paragraphs (q)(1)(i)               component.                                           gas as defined in paragraph (u)(2) of this
                                                     through (iv) of this section) in standard         EFs,p = Leaker emission factor for specific               section; for onshore natural gas
                                                     (‘‘s’’) cubic feet, as specified in                    component types listed in Tables W–1E,               processing facilities, concentration of
                                                     paragraphs (q)(2)(ii) through (x) of this              W–2, W–3A, W–4A, W–5A, W–6A, and                     GHGi, CH4 or CO2, in the total
                                                     section.                                               W–7 to this subpart.                                 hydrocarbon of the feed natural gas; for
                                               xp = Total number of specific component                 GHGi = For onshore petroleum and natural                  onshore natural gas transmission
                                                                                                                                                                                                                ER30NO16.000</GPH>




                                                     type ‘‘p’’ detected as leaking in any leak             gas production facilities and onshore                compression and underground natural



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                                                            Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                             86513

                                                    gas storage, GHGi equals 0.975 for CH4                (ii) Calculate both CO2 and CH4 mass               gas service listed in Table W–6A to this
                                                    and 1.1 × 10¥2 for CO2; for LNG storage            emissions using calculations in                       subpart.
                                                    and LNG import and export equipment,               paragraph (v) of this section.                           (x) Natural gas distribution facilities
                                                    GHGi equals 1 for CH4 and 0 for CO2; and              (iii) Onshore petroleum and natural                must use Equation W–30 of this section
                                                    for natural gas distribution, GHGi equals
                                                                                                       gas production facilities must use the                and the default methane leaker emission
                                                    1 for CH4 and 1.1 × 10¥2 CO2.
                                               Tp,z = The total time the surveyed component
                                                                                                       appropriate default whole gas leaker                  factors for transmission-distribution
                                                    ‘‘z,’’ component type ‘‘p,’’ was assumed           emission factors for components in gas                transfer station components in gas
                                                    to be leaking and operational, in hours.           service, light crude service, and heavy               service listed in Table W–7 to this
                                                    If one leak detection survey is conducted          crude service listed in Table W–1E to                 subpart to calculate component
                                                    in the calendar year, assume the                   this subpart.                                         emissions from annual equipment leak
                                                    component was leaking for the entire                  (iv) Onshore petroleum and natural                 surveys conducted at above grade
                                                    calendar year. If multiple leak detection          gas gathering and boosting facilities                 transmission-distribution transfer
                                                    surveys are conducted in the calendar              must use the appropriate default whole                stations. Natural gas distribution
                                                    year, assume a component found leaking             gas leaker factors for components in gas              facilities are required to perform
                                                    in the first survey was leaking since the          service listed in Table W–1E to this                  equipment leak surveys only at above
                                                    beginning of the year until the date of the
                                                                                                       subpart.                                              grade stations that qualify as
                                                    survey; assume a component found
                                                    leaking in the last survey of the year was            (v) Onshore natural gas processing                 transmission-distribution transfer
                                                    leaking from the preceding survey                  facilities must use the appropriate                   stations. Below grade transmission-
                                                    through the end of the year; assume a              default total hydrocarbon leaker                      distribution transfer stations and all
                                                    component found leaking in a survey                emission factors for compressor                       metering-regulating stations that do not
                                                    between the first and last surveys of the          components in gas service and non-                    meet the definition of transmission-
                                                    year was leaking since the preceding               compressor components in gas service                  distribution transfer stations are not
                                                    survey until the date of the survey; and           listed in Table W–2 to this subpart.                  required to perform equipment leak
                                                    sum times for all leaking periods. For                (vi) Onshore natural gas transmission              surveys under this section.
                                                    each leaking component, account for                compression facilities must use the                      (A) Natural gas distribution facilities
                                                    time the component was not operational
                                                                                                       appropriate default total hydrocarbon                 may choose to conduct equipment leak
                                                    (i.e., not operating under pressure) using
                                                    an engineering estimate based on best              leaker emission factors for compressor                surveys at all above grade transmission-
                                                    available data.                                    components in gas service and non-                    distribution transfer stations over
                                                                                                       compressor components in gas service                  multiple years ‘‘n,’’ not exceeding a five
                                                 (i) You must conduct at least one leak                listed in Table W–3A to this subpart.                 year period to cover all above grade
                                               detection survey in a calendar year. The                   (vii) Underground natural gas storage              transmission-distribution transfer
                                               leak detection surveys selected must be                 facilities must use the appropriate                   stations. If the facility chooses to use the
                                               conducted during the calendar year. If                  default total hydrocarbon leaker                      multiple year option, then the number
                                               you conduct multiple complete leak                      emission factors for storage stations or              of transmission-distribution transfer
                                               detection surveys in a calendar year,                   storage wellheads in gas service listed in            stations that are monitored in each year
                                               you must use the results from each                      Table W–4A to this subpart.                           should be approximately equal across
                                               complete leak detection survey when                        (viii) LNG storage facilities must use             all years in the cycle.
                                               calculating emissions using Equation                    the appropriate default methane leaker                   (B) Use Equation W–31 of this section
                                               W–30. For components subject to the                     emission factors for LNG storage                      to determine the meter/regulator run
                                               well site and compressor station fugitive               components in LNG service or gas                      population emission factors for each
                                               emissions standards in § 60.5397a of                    service listed in Table W–5A to this                  GHGi. As additional survey data become
                                               this chapter, each survey conducted in                  subpart.                                              available, you must recalculate the
                                               accordance with § 60.5397a of this                         (ix) LNG import and export facilities              meter/regulator run population
                                               chapter will be considered a complete                   must use the appropriate default                      emission factors for each GHGi annually
                                               leak detection survey for purposes of                   methane leaker emission factors for LNG               according to paragraph (q)(2)(x)(C) of
                                               this section.                                           terminals components in LNG service or                this section.




                                               Where:                                                  p = Seven component types listed in Table             y = Year of data included in emission factor
                                               EFs,MR,i = Meter/regulator run population                    W–7 to this subpart for transmission-                ‘‘EFs,MR,i’’ according to paragraph
                                                     emission factor for GHGi based on all                  distribution transfer stations.                      (q)(2)(x)(C) of this section.
                                                     surveyed above grade transmission-                Tw,y = The total time the surveyed meter/             n = Number of years of data, according to
                                                     distribution transfer stations over ‘‘n’’              regulator run ‘‘w’’ was operational, in              paragraph (q)(2)(x)(A) of this section,
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                                                     years, in standard cubic feet of GHGi per              hours during survey year ‘‘y’’ using an              whose results are used to calculate
                                                     operational hour of all meter/regulator                                                                     emission factor ‘‘EFs,MR,i’’ according to
                                                                                                            engineering estimate based on best
                                                     runs.                                                                                                       paragraph (q)(2)(x)(C) of this section.
                                                                                                            available data.
                                               Es,p,i,y = Annual total volumetric emissions at         CountMR,y = Count of meter/regulator runs
                                                     standard conditions of GHGi from                                                                           (C) The emission factor ‘‘EFs,MR,i,’’
                                                                                                            surveyed at above grade transmission-            based on annual equipment leak surveys
                                                     component type ‘‘p’’ during year ‘‘y’’ in
                                                     standard (‘‘s’’) cubic feet, as calculated             distribution transfer stations in year ‘‘y’’.    at above grade transmission-distribution
                                                                                                                                                                                                             ER30NO16.001</GPH>




                                                     using Equation W–30 of this section.                                                                    transfer stations, must be calculated


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                                               86514        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                               annually. If you chose to conduct                       be subject to the requirements of this                ■ a. Revising paragraph (a) introductory
                                               equipment leak surveys at all above                     paragraph (r), the listed emissions                   text, the paragraph (a)(1) heading, and
                                               grade transmission-distribution transfer                sources also must contact streams with                the fourth sentence in paragraph (a)(2);
                                               stations over multiple years, ‘‘n,’’                    gas content greater than 10 percent CH                and
                                               according to paragraph (q)(2)(x)(A) of                  plus CO2 by weight. Emissions sources                 ■ b. Adding paragraphs (a)(6) and (7).
                                               this section and you have submitted a                   that contact streams with gas content                   The revisions and additions read as
                                               smaller number of annual reports than                   less than or equal to 10 percent CH4                  follows:
                                               the duration of the selected cycle period               plus CO2 by weight are exempt from the                *      *    *    *     *
                                               of 5 years or less, then all available data             requirements of this paragraph (r) and
                                               from the current year and previous years                do not need to be reported. * * *                     § 98.234 Monitoring and QA/QC
                                               must be used in the calculation of the                                                                        requirements.
                                                                                                       *     *     *     *     *
                                               emission factor ‘‘EFs,MR,i’’ from Equation                                                                       (a) You must use any of the methods
                                               W–31 of this section. After the first                   Counte = Total number of the emission                 described in paragraphs (a)(1) through
                                                                                                          source type at the facility. For onshore
                                               survey cycle of ‘‘n’’ years is completed                                                                      (5) of this section to conduct leak
                                                                                                          petroleum and natural gas production
                                               and beginning in calendar year (n+1),                      facilities and onshore petroleum and               detection(s) of through-valve leakage
                                               the survey will continue on a rolling                      natural gas gathering and boosting                 from all source types listed in
                                               basis by including the survey results                      facilities, average component counts are           § 98.233(k), (o), and (p) that occur
                                               from the current calendar year ‘‘y’’ and                   provided by major equipment piece in               during a calendar year. You must use
                                               survey results from all previous (n¥1)                     Tables W–1B and Table W–1C to this                 any of the methods described in
                                               calendar years, such that each annual                      subpart. Use average component counts              paragraphs (a)(1) through (7) of this
                                               calculation of the emission factor                         as appropriate for operations in Eastern           section to conduct leak detection(s) of
                                               ‘‘EFs,MR,i’’ from Equation W–31 is based                   and Western U.S., according to Table W–            equipment leaks from components as
                                               on survey results from ‘‘n’’ years. Upon                   1D to this subpart. Onshore petroleum
                                                                                                                                                             specified in § 98.233(q)(1)(i) that occur
                                                                                                          and natural gas gathering and boosting
                                               completion of a cycle, you may elect to                    facilities must also count the miles of            during a calendar year. You must use
                                               change the number of years in the next                     gathering pipelines by material type               any of the methods described in
                                               cycle period (to be 5 years or less). If the               (protected steel, unprotected steel,               paragraphs (a)(1) through (5) of this
                                               number of years in the new cycle is                        plastic, or cast iron). Underground                section to conduct leak detection(s) of
                                               greater than the number of years in the                    natural gas storage facilities must count          equipment leaks from components as
                                               previous cycle, calculate ‘‘EFs,MR,i’’ from                each component listed in Table W–4B to             specified in § 98.233(q)(1)(ii) that occur
                                               Equation W–31 in each year of the new                      this subpart. LNG storage facilities must          during a calendar year. You must use
                                               cycle using the survey results from the                    count the number of vapor recovery                 one of the methods described in
                                               current calendar year and the survey                       compressors. LNG import and export
                                                                                                                                                             paragraph (a)(6) or (7) of this section to
                                               results from the preceding number years                    facilities must count the number of vapor
                                                                                                          recovery compressors. Natural gas                  conduct leak detection(s) of equipment
                                               that is equal to the number of years in                    distribution facilities must count: (1) The        leaks from components as specified in
                                               the previous cycle period. If the number                   number of distribution services by                 § 98.233(q)(1)(iii). If electing to comply
                                               of years, ‘‘nnew,’’ in the new cycle is                    material type; (2) miles of distribution           with § 98.233(q) as specified in
                                               smaller than the number of years in the                    mains by material type; and (3) number             § 98.233(q)(1)(iv), you must use any of
                                               previous cycle, ‘‘n,’’ calculate ‘‘EFs,MR,i’’              of below grade metering-regulating                 the methods described in paragraphs
                                               from Equation W–31 in each year of the                     stations, by pressure type; as listed in           (a)(1) through (7) of this section to
                                               new cycle using the survey results from                    Table W–7 to this subpart.                         conduct leak detection(s) of equipment
                                               the current calendar year and survey                    *      *      *      *       *                        leaks from component types as specified
                                               results from all previous (nnew¥1)                      EFs,e = Population emission factor for the            in § 98.233(q)(1)(iv) that occur during a
                                               calendar years.                                              specific emission source type, as listed         calendar year.
                                                  (xi) If you chose to conduct                              in Tables W–1A, W–4B, W–5B, W–6B,
                                                                                                                                                                (1) Optical gas imaging instrument as
                                               equipment leak surveys at all above                          and W–7 to this subpart. Use appropriate
                                                                                                            population emission factor for operations        specified in § 60.18 of this
                                               grade transmission-distribution transfer                                                                      chapter. * * *
                                               stations over multiple years, ‘‘n,’’                         in Eastern and Western U.S., according
                                               according to paragraph (q)(2)(x)(A) of
                                                                                                            to Table W–1D to this subpart.                   *      *     *     *      *
                                               this section, you must use the meter/                   *      *      *      *       *                           (2) * * * If the equipment leak
                                               regulator run population emission                                                                             detection methods in this paragraph
                                                                                                         (3) Underground natural gas storage                 cannot be used, you must use
                                               factors calculated using Equation W–31                  facilities must use the appropriate
                                               of this section and the total count of all                                                                    alternative leak detection devices as
                                                                                                       default total hydrocarbon population                  described in paragraph (a)(1) of this
                                               meter/regulator runs at above grade                     emission factors for storage wellheads in
                                               transmission-distribution transfer                                                                            section to monitor inaccessible
                                                                                                       gas service listed in Table W–4B to this              equipment leaks or vented emissions.
                                               stations to calculate emissions from all                subpart.
                                               above grade transmission-distribution                                                                         *      *     *     *      *
                                                                                                         (4) LNG storage facilities must use the
                                               transfer stations using Equation W–32B                                                                           (6) Optical gas imaging instrument as
                                                                                                       appropriate default methane population
                                               in paragraph (r) of this section.                                                                             specified in § 60.5397a of this chapter.
                                                                                                       emission factor for LNG storage
                                                  (r) * * * This paragraph (r) applies to                                                                    Use an optical gas imaging instrument
                                                                                                       compressors in gas service listed in
                                               emissions sources listed in                                                                                   for equipment leak detection in
                                                                                                       Table W–5B to this subpart.
                                               § 98.232(c)(21), (f)(7), (g)(5), (h)(6), and                                                                  accordance with § 60.5397a(b), (c)(3),
                                                                                                         (5) LNG import and export facilities                (c)(7), and (e) of this chapter and
                                               (j)(10) if you are not required to comply
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                                                                                                       must use the appropriate default                      paragraphs (a)(6)(i) through (iii) of this
                                               with paragraph (q) of this section and if
                                                                                                       methane population emission factor for                section. Unless using methods in
                                               you do not elect to comply with
                                                                                                       LNG terminal compressors in gas                       paragraph (a)(7) of this section, an
                                               paragraph (q) of this section for these
                                                                                                       service listed in Table W–6B to this                  optical gas imaging instrument must be
                                               components in lieu of this paragraph (r).
                                                                                                       subpart.                                              used for all source types that are
                                               This paragraph (r) also applies to
                                               emission sources listed in § 98.232(i)(2),              *      *    *     *     *                             inaccessible and cannot be monitored
                                               (i)(3), (i)(4), (i)(5), (i)(6), and (j)(11). To         ■ 4. Section 98.234 is amended by:                    without elevating the monitoring


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                                                            Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                             86515

                                               personnel more than 2 meters above a                    ■ d. Adding new paragraph (a)(9)(x);                  storage, and LNG import and export
                                               support surface.                                        ■ e. Revising paragraph (q) introductory              equipment, indicate whether you
                                                  (i) For the purposes of this subpart,                text, paragraph (q)(1), paragraph (q)(2)              elected to comply with § 98.233(q)
                                               any visible emissions from a component                  introductory text, paragraph (r)(3)(ii)               according to § 98.233(q)(1)(iv) for any
                                               listed in § 98.232 observed by the                      introductory text, and the second                     equipment components at your facility.
                                               optical gas imaging instrument is a leak.               sentence of paragraph (z) introductory                   (v) Report each type of method
                                                  (ii) For the purposes of this subpart,               text.                                                 described in § 98.234(a) that was used to
                                               the term ‘‘fugitive emissions                             The revisions and additions read as                 conduct leak surveys.
                                               component’’ in § 60.5397a of this                       follows:
                                               chapter means ‘‘component.’’                                                                                     (2) You must indicate whether your
                                                  (iii) For the purpose of complying                   § 98.236    Data reporting requirements.              facility contains any of the component
                                               with § 98.233(q)(1)(iv), the phrase ‘‘the               *      *     *      *    *                            types subject to or complying with
                                               collection of fugitive emissions                          (a) * * *                                           § 98.233(q) that are listed in
                                               components at well sites and                              (1) * * *                                           § 98.232(c)(21), (d)(7), (e)(7), (e)(8),
                                               compressor stations’’ in § 60.5397a(b) of                 (xiv) Equipment leak surveys. Report                (f)(5), (f)(6), (f)(7), (f)(8), (g)(4), (g)(6),
                                               this chapter means ‘‘the collection of                  the information specified in paragraph                (g)(7), (h)(5), (h)(7), (h)(8), (i)(1), or
                                               components for which you elect to                       (q) of this section.                                  (j)(10) for your facility’s industry
                                               comply with § 98.233(q)(1)(iv).’’                       *      *     *      *    *                            segment. For each component type that
                                                  (7) Method 21 as specified in                          (9) * * *                                           is located at your facility, you must
                                               § 60.5397a of this chapter. Use the                       (x) Equipment leak surveys. Report                  report the information specified in
                                               equipment leak detection methods in                     the information specified in paragraph                paragraphs (q)(2)(i) through (v) of this
                                               appendix A–7 to part 60 of this chapter,                (q) of this section.                                  section. If a component type is located
                                               Method 21, in accordance with                           *      *     *      *    *                            at your facility and no leaks were
                                               § 60.5397a(b), (c)(8), and (e) of this                    (q) Equipment leak surveys. For any                 identified from that component, then
                                               chapter and paragraphs (a)(7)(i) through                components subject to or complying                    you must report the information in
                                               (iii) of this section. Inaccessible                     with the requirements of § 98.233(q),                 paragraphs (q)(2)(i) through (v) of this
                                               emissions sources, as defined in part 60                you must report the information                       section but report a zero (‘‘0’’) for the
                                               of this chapter, are not exempt from this               specified in paragraphs (q)(1) and (2) of             information required according to
                                               subpart. If the equipment leak detection                this section. Natural gas distribution                paragraphs (q)(2)(ii) through (v) of this
                                               methods in this paragraph cannot be                     facilities with emission sources listed in            section.
                                               used, you must use alternative leak                     § 98.232(i)(1) must also report the                   *       *     *       *      *
                                               detection devices as described in                       information specified in paragraph                       (r) * * *
                                               paragraph (a)(6) of this section to                     (q)(3) of this section.
                                               monitor inaccessible equipment leaks.                                                                            (3) * * *
                                                                                                         (1) You must report the information
                                                  (i) For the purposes of this subpart,                specified in paragraphs (q)(1)(i) through                (ii) Onshore petroleum and natural
                                               any instrument reading from a                           (v) of this section.                                  gas production facilities and onshore
                                               component listed in § 98.232 of this                      (i) Except as specified in paragraph                petroleum and natural gas gathering and
                                               chapter of 500 ppm or greater using                     (q)(1)(ii) of this section, the number of             boosting facilities must report the
                                               Method 21 is a leak.                                    complete equipment leak surveys                       information specified in paragraphs
                                                  (ii) For the purposes of this subpart,               performed during the calendar year.                   (r)(3)(ii)(A) and (B) of this section, for
                                               the term ‘‘fugitive emissions                             (ii) Natural gas distribution facilities            each major equipment type, production
                                               component’’ in § 60.5397a of this                       performing equipment leak surveys                     type (i.e., natural gas or crude oil), and
                                               chapter means ‘‘component.’’                            across a multiple year leak survey cycle              geographic location combination in
                                                  (iii) For the purpose of complying                   must report the number of years in the                Tables W–1B and W–1C to this subpart
                                               with § 98.233(q)(1)(iv), the phrase ‘‘the               leak survey cycle.                                    for which equipment leak emissions are
                                               collection of fugitive emissions                          (iii) Except for onshore natural gas                calculated using the methodology in
                                               components at well sites and                            processing facilities and natural gas                 § 98.233(r).
                                               compressor stations’’ in § 60.5397a(b) of               distribution facilities, indicate whether             *       *     *       *      *
                                               this chapter means ‘‘the collection of                  any equipment components at your                         (z) * * * If your facility contains any
                                               components for which you elect to                       facility are subject to the well site or              combustion units subject to reporting
                                               comply with § 98.233(q)(1)(iv).’’                       compressor station fugitive emissions                 according to paragraph (a)(1)(xviii),
                                               *       *     *     *     *                             standards in § 60.5397a of this chapter.              (a)(8)(i), or (a)(9)(xii) of this section,
                                               ■ 5. Section 98.236 is amended by:                      Report the indication per facility, not               then you must report the information
                                               ■ a. Redesignating paragraphs (a)(1)(xiv)               per component type.                                   specified in paragraphs (z)(1) and (2) of
                                               through (xvii) as paragraphs (a)(1)(xv)                   (iv) For facilities in onshore                      this section, as applicable.
                                               through (xviii), respectively;                          petroleum and natural gas production,
                                                                                                       onshore petroleum and natural gas                     *       *     *       *      *
                                               ■ b. Adding new paragraph (a)(1)(xiv);
                                               ■ c. Redesignating paragraphs (a)(9)(x)                 gathering and boosting, onshore natural               ■ 6. Add Table W–1E to subpart W of
                                               and (xi) as paragraphs (a)(9)(xi) and                   gas transmission compression,                         part 98 in numerical order to read as
                                               (xii), respectively;                                    underground natural gas storage, LNG                  follows:
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                                               86516              Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                                    TABLE W–1E TO SUBPART W OF PART 98—DEFAULT WHOLE GAS LEAKER EMISSION FACTORS FOR ONSHORE
                                                PETROLEUM AND NATURAL GAS PRODUCTION AND ONSHORE PETROLEUM AND NATURAL GAS GATHERING AND BOOSTING
                                                                                                                                                                                                                      Emission factor
                                                                                                                                                                                                                   (scf/hour/component)

                                                                                                       Equipment components                                                                              If you survey using    If you survey using
                                                                                                                                                                                                        any of the methods in        Method 21
                                                                                                                                                                                                            § 98.234(a)(1)         as specified in
                                                                                                                                                                                                              through (6)          § 98.234(a)(7)

                                                                                                                Leaker Emission Factors—All Components, Gas Service 1

                                               Valve ................................................................................................................................................                     4.9                    3.5
                                               Flange ..............................................................................................................................................                      4.1                    2.2
                                               Connector (other) .............................................................................................................................                            1.3                    0.8
                                               Open-Ended Line 2 ..........................................................................................................................                               2.8                    1.9
                                               Pressure Relief Valve ......................................................................................................................                               4.5                    2.8
                                               Pump Seal .......................................................................................................................................                          3.7                    1.4
                                               Other 3 ..............................................................................................................................................                     4.5                    2.8

                                                                                                         Leaker Emission Factors—All Components, Light Crude Service 4

                                               Valve ................................................................................................................................................                     3.2                    2.2
                                               Flange ..............................................................................................................................................                      2.7                    1.4
                                               Connector (other) .............................................................................................................................                            1.0                    0.6
                                               Open-Ended Line .............................................................................................................................                              1.6                    1.1
                                               Pump ................................................................................................................................................                      3.7                    2.6
                                               Agitator Seal ....................................................................................................................................                         3.7                    2.6
                                               Other 3 ..............................................................................................................................................                     3.1                    2.0

                                                                                                         Leaker Emission Factors—All Components, Heavy Crude Service 5

                                               Valve ................................................................................................................................................                     3.2                    2.2
                                               Flange ..............................................................................................................................................                      2.7                    1.4
                                               Connector (other) .............................................................................................................................                            1.0                    0.6
                                               Open-Ended Line .............................................................................................................................                              1.6                    1.1
                                               Pump ................................................................................................................................................                      3.7                    2.6
                                               Agitator Seal ....................................................................................................................................                         3.7                    2.6
                                               Other 3 ..............................................................................................................................................                     3.1                    2.0
                                                   1 For  multi-phase flow that includes gas, use the gas service emission factors.
                                                   2 The  open-ended lines component type includes blowdown valve and isolation valve leaks emitted through the blowdown vent stack for cen-
                                               trifugal and reciprocating compressors.
                                                   3 ‘‘Others’’ category includes any equipment leak emission point not specifically listed in this table, as specified in § 98.232(c)(21) and (j)(10).
                                                   4 Hydrocarbon liquids greater than or equal to 20°API are considered ‘‘light crude.’’
                                                   5 Hydrocarbon liquids less than 20°API are considered ‘‘heavy crude.’’




                                               ■ 7. Remove Table W–3 to subpart W of                                        W–3B to subpart W of part 98 in
                                               part 98 and add Table W–3A and Table                                         numerical order to read as follows:

                                                TABLE W–3A TO SUBPART W OF PART 98—DEFAULT TOTAL HYDROCARBON LEAKER EMISSION FACTORS FOR ONSHORE
                                                                              NATURAL GAS TRANSMISSION COMPRESSION
                                                                                                                                                                                                                      Emission factor
                                                                                                                                                                                                                   (scf/hour/component)

                                                                                     Onshore natural gas transmission compression                                                                        If you survey using    If you survey using
                                                                                                                                                                                                        any of the methods in       Method 21 as
                                                                                                                                                                                                            § 98.234(a)(1)           specified in
                                                                                                                                                                                                              through (6)          § 98.234(a)(7)

                                                                                                         Leaker Emission Factors—Compressor Components, Gas Service

                                               Valve 1 ..............................................................................................................................................                   14.84                   9.51
                                               Connector ........................................................................................................................................                        5.59                   3.58
                                               Open-Ended Line .............................................................................................................................                            17.27                  11.07
                                               Pressure Relief Valve ......................................................................................................................                             39.66                  25.42
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                                               Meter or Instrument .........................................................................................................................                            19.33                  12.39
                                               Other 2 ..............................................................................................................................................                     4.1                   2.63

                                                                                                     Leaker Emission Factors—Non-Compressor Components, Gas Service

                                               Valve 1 ..............................................................................................................................................                    6.42                   4.12
                                               Connector ........................................................................................................................................                        5.71                   3.66
                                               Open-Ended Line .............................................................................................................................                            11.27                   7.22



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                                                                  Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                                                                             86517

                                                TABLE W–3A TO SUBPART W OF PART 98—DEFAULT TOTAL HYDROCARBON LEAKER EMISSION FACTORS FOR ONSHORE
                                                                         NATURAL GAS TRANSMISSION COMPRESSION—Continued
                                                                                                                                                                                                                            Emission factor
                                                                                                                                                                                                                         (scf/hour/component)

                                                                                     Onshore natural gas transmission compression                                                                        If you survey using                 If you survey using
                                                                                                                                                                                                        any of the methods in                    Method 21 as
                                                                                                                                                                                                            § 98.234(a)(1)                        specified in
                                                                                                                                                                                                              through (6)                       § 98.234(a)(7)

                                               Pressure Relief Valve ......................................................................................................................                                       2.01                       1.29
                                               Meter or Instrument .........................................................................................................................                                      2.93                       1.88
                                               Other 2 ..............................................................................................................................................                              4.1                       2.63
                                                   1 Valves
                                                          include control valves, block valves and regulator valves.
                                                   2 Other
                                                         includes any potential equipment leak emission point in gas service that is not specifically listed in this table, as specified in
                                               § 98.232(e)(8).

                                                     TABLE W–3B TO SUBPART W OF PART 98—DEFAULT TOTAL HYDROCARBON POPULATION EMISSION FACTORS FOR
                                                                            ONSHORE NATURAL GAS TRANSMISSION COMPRESSION
                                                                                                                                                                                                                                               Emission factor
                                                                        Population emission factors—gas service onshore natural gas transmission compression                                                                                (scf/hour/component)

                                               Low Continuous Bleed Pneumatic Device Vents 1 ..................................................................................................................                                              1.37
                                               High Continuous Bleed Pneumatic Device Vents 1 .................................................................................................................                                             18.20
                                               Intermittent Bleed Pneumatic Device Vents 1 ..........................................................................................................................                                        2.35
                                                   1 Emission      Factor is in units of ‘‘scf/hour/device.’’


                                               ■ 8. Remove Table W–4 to subpart W of                                        W–4B to subpart W of part 98 in
                                               part 98 and add Table W–4A and Table                                         numerical order to read as follows:

                                                          TABLE W–4A TO SUBPART W OF PART 98—DEFAULT TOTAL HYDROCARBON LEAKER EMISSION FACTORS FOR
                                                                                      UNDERGROUND NATURAL GAS STORAGE
                                                                                                                                                                                                                            Emission factor
                                                                                                                                                                                                                         (scf/hour/component)

                                                                                                Underground natural gas storage                                                                          If you survey using                 If you survey using
                                                                                                                                                                                                        any of the methods in                    Method 21 as
                                                                                                                                                                                                            § 98.234(a)(1)                        specified in
                                                                                                                                                                                                              through (6)                       § 98.234(a)(7)

                                                                                                                  Leaker Emission Factors—Storage Station, Gas Service

                                               Valve 1 ..............................................................................................................................................                           14.84                        9.51
                                               Connector (other) .............................................................................................................................                                   5.59                        3.58
                                               Open-Ended Line .............................................................................................................................                                    17.27                       11.07
                                               Pressure Relief Valve ......................................................................................................................                                     39.66                       25.42
                                               Meter and Instrument ......................................................................................................................                                      19.33                       12.39
                                               Other 2 ..............................................................................................................................................                             4.1                        2.63

                                                                                                               Leaker Emission Factors—Storage Wellheads, Gas Service

                                               Valve 1 ..............................................................................................................................................                               4.5                       3.2
                                               Connector (other than flanges) ........................................................................................................                                              1.2                       0.7
                                               Flange ..............................................................................................................................................                                3.8                       2.0
                                               Open-Ended Line .............................................................................................................................                                        2.5                       1.7
                                               Pressure Relief Valve ......................................................................................................................                                         4.1                       2.5
                                               Other 2 ..............................................................................................................................................                               4.1                       2.5
                                                   1 Valvesinclude control valves, block valves and regulator valves.
                                                   2 Otherincludes any potential equipment leak emission point in gas service that is not specifically listed in this table, as specified in
                                               § 98.232(f)(6) and (8).

                                                     TABLE W–4B TO SUBPART W OF PART 98—DEFAULT TOTAL HYDROCARBON POPULATION EMISSION FACTORS FOR
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                                                                                  UNDERGROUND NATURAL GAS STORAGE
                                                                                                                                                                                                                                               Emission factor
                                                                                                                   Underground natural gas storage                                                                                          (scf/hour/component)

                                                                                                           Population Emission Factors—Storage Wellheads, Gas Service

                                               Connector ................................................................................................................................................................................                    0.01



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                                               86518              Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations

                                                     TABLE W–4B TO SUBPART W OF PART 98—DEFAULT TOTAL HYDROCARBON POPULATION EMISSION FACTORS FOR
                                                                             UNDERGROUND NATURAL GAS STORAGE—Continued
                                                                                                                                                                                                                                                   Emission factor
                                                                                                                   Underground natural gas storage                                                                                              (scf/hour/component)

                                               Valve ........................................................................................................................................................................................                     0.1
                                               Pressure Relief Valve ..............................................................................................................................................................                              0.17
                                               Open-Ended Line .....................................................................................................................................................................                             0.03

                                                                                                            Population Emission Factors—Other Components, Gas Service

                                               Low Continuous Bleed Pneumatic Device Vents 1 ..................................................................................................................                                                  1.37
                                               High Continuous Bleed Pneumatic Device Vents 1 .................................................................................................................                                                 18.20
                                               Intermittent Bleed Pneumatic Device Vents 1 ..........................................................................................................................                                            2.35
                                                   1 Emission      Factor is in units of ‘‘scf/hour/device.’’


                                               ■ 9. Remove Table W–5 to subpart W of                                        W–5B to subpart W of part 98 in
                                               part 98 and add Table W–5A and Table                                         numerical order to read as follows:

                                                   TABLE W–5A TO SUBPART W OF PART 98—DEFAULT METHANE LEAKER EMISSION FACTORS FOR LIQUEFIED NATURAL
                                                                                        GAS (LNG) STORAGE
                                                                                                                                                                                                                                Emission factor
                                                                                                                                                                                                                             (scf/hour/component)

                                                                                                                LNG storage                                                                                If you survey using                   If you survey using
                                                                                                                                                                                                          any of the methods in                      Method 21 as
                                                                                                                                                                                                              § 98.234(a)(1)                          specified in
                                                                                                                                                                                                                through (6)                         § 98.234(a)(7)

                                                                                                         Leaker Emission Factors—LNG Storage Components, LNG Service

                                               Valve ................................................................................................................................................                                 1.19                       0.23
                                               Pump Seal .......................................................................................................................................                                      4.00                       0.73
                                               Connector ........................................................................................................................................                                     0.34                       0.11
                                               Other 1 ..............................................................................................................................................                                 1.77                       0.99

                                                                                                         Leaker Emission Factors—LNG Storage Components, Gas Service

                                               Valve 2 ..............................................................................................................................................                               14.84                        9.51
                                               Connector ........................................................................................................................................                                    5.59                        3.58
                                               Open-Ended Line .............................................................................................................................                                        17.27                       11.07
                                               Pressure Relief Valve ......................................................................................................................                                         39.66                       25.42
                                               Meter and Instrument ......................................................................................................................                                          19.33                       12.39
                                               Other 3 ..............................................................................................................................................                                 4.1                        2.63
                                                   1 ‘‘Other’’
                                                             equipment type for components in LNG service should be applied for any equipment type other than connectors, pumps, or valves.
                                                   2 Valves include control valves, block valves and regulator valves.
                                                 3 ‘‘Other’’ equipment type for components in gas service should be applied for any equipment type other than valves, connectors, flanges,
                                               open-ended lines, pressure relief valves, and meters and instruments, as specified in § 98.232(g)(6) and (7).

                                                       TABLE W–5B TO SUBPART W OF PART 98—DEFAULT METHANE POPULATION EMISSION FACTORS FOR LIQUEFIED
                                                                                        NATURAL GAS (LNG) STORAGE
                                                                                                                                                                                                                                                   Emission factor
                                                                                                                                   LNG storage                                                                                                  (scf/hour/component)

                                                                                                      Population Emission Factors—LNG Storage Compressor, Gas Service

                                               Vapor Recovery Compressor 1 ................................................................................................................................................                                      4.17
                                                   1 Emission      Factor is in units of ‘‘scf/hour/device.’’


                                               ■ 10. Remove Table W–6 to subpart W                                          Table W–6B to subpart W of part 98 in
                                               of part 98 and add Table W–6A and                                            numerical order to read as follows:
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                                                                  Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Rules and Regulations                                                                                 86519

                                                    TABLE W–6A TO SUBPART W OF PART 98—DEFAULT METHANE LEAKER EMISSION FACTORS FOR LNG IMPORT AND
                                                                                         EXPORT EQUIPMENT
                                                                                                                                                                                                                      Emission factor
                                                                                                                                                                                                                   (scf/hour/component)

                                                                                               LNG import and export equipment                                                                           If you survey using     If you survey using
                                                                                                                                                                                                        any of the methods in        Method 21 as
                                                                                                                                                                                                            § 98.234(a)(1)            specified in
                                                                                                                                                                                                              through (6)         sect; 98.234(a)(7)

                                                                                                      Leaker Emission Factors—LNG Terminals Components, LNG Service

                                               Valve ................................................................................................................................................                    1.19                    0.23
                                               Pump Seal .......................................................................................................................................                         4.00                    0.73
                                               Connector ........................................................................................................................................                        0.34                    0.11
                                               Other 1 ..............................................................................................................................................                    1.77                    0.99

                                                                                                       Leaker Emission Factors—LNG Terminals Components, Gas Service

                                               Valve 2 ..............................................................................................................................................                   14.84                    9.51
                                               Connector ........................................................................................................................................                        5.59                    3.58
                                               Open-Ended Line .............................................................................................................................                            17.27                   11.07
                                               Pressure Relief Valve ......................................................................................................................                             39.66                   25.42
                                               Meter and Instrument ......................................................................................................................                              19.33                   12.39
                                               Other 3 ..............................................................................................................................................                     4.1                    2.63
                                                  1 ‘‘Other’’equipment type for components in LNG service should be applied for any equipment type other than connectors, pumps, or valves.
                                                  2 Valves  include control valves, block valves and regulator valves.
                                                 3 ‘‘Other’’ equipment type for components in gas service should be applied for any equipment type other than valves, connectors, flanges,
                                               open-ended lines, pressure relief valves, and meters and instruments, as specified in § 98.232(h)(7) and (8).

                                                TABLE W–6B TO SUBPART W OF PART 98—DEFAULT METHANE POPULATION EMISSION FACTORS FOR LNG IMPORT AND
                                                                                       EXPORT EQUIPMENT
                                                                                                                                                                                                                                   Emission factor
                                                                                                                  LNG import and export equipment                                                                               (scf/hour/component)

                                                                                                    Population Emission Factors—LNG Terminals Compressor, Gas Service

                                               Vapor Recovery Compressor 1 ................................................................................................................................................                      4.17
                                                  1 Emission       Factor is in units of ‘‘scf/hour/compressor.’’


                                               [FR Doc. 2016–27981 Filed 11–29–16; 8:45 am]
                                               BILLING CODE 6560–50–P
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Document Created: 2016-11-30 02:17:47
Document Modified: 2016-11-30 02:17:47
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis final rule is effective on January 1, 2017.
ContactCarole Cook, Climate Change Division, Office of Atmospheric Programs (MC-6207A), Environmental Protection Agency, 1200 Pennsylvania Ave. NW., Washington, DC 20460; telephone
FR Citation81 FR 86490 
RIN Number2060-AS73
CFR AssociatedEnvironmental Protection; Administrative Practice and Procedure; Greenhouse Gases and Reporting and Recordkeeping Requirements

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