81_FR_89263 81 FR 89026 - Phosphoric Acid Manufacturing and Phosphate Fertilizer Production Risk and Technology Review

81 FR 89026 - Phosphoric Acid Manufacturing and Phosphate Fertilizer Production Risk and Technology Review

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 81, Issue 237 (December 9, 2016)

Page Range89026-89034
FR Document2016-29236

This action proposes amendments to the National Emission Standards for Hazardous Air Pollutants (NESHAP) for the Phosphoric Acid Manufacturing and Phosphate Fertilizer Production source categories. The proposed amendments are in response to two petitions for reconsideration filed by industry stakeholders on the rule revisions to NESHAP for the Phosphoric Acid Manufacturing and Phosphate Fertilizer Production source categories that were promulgated on August 19, 2015 (80 FR 50386) (hereafter the ``August 2015 Final Rule''). We are proposing to revise the compliance date by which affected sources must include emissions from oxidation reactors when determining compliance with the total fluoride (TF) emission limits for superphosphoric acid (SPA) process lines. We are also proposing to add a new option, and clarify an existing option, to the monitoring requirements for low- energy absorbers. In addition, we are proposing to revise the compliance date for the monitoring requirements for low-energy absorbers.

Federal Register, Volume 81 Issue 237 (Friday, December 9, 2016)
[Federal Register Volume 81, Number 237 (Friday, December 9, 2016)]
[Proposed Rules]
[Pages 89026-89034]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-29236]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 63

[EPA-HQ-OAR-2012-0522; FRL-9956-00-OAR]
RIN 2060-AT14


Phosphoric Acid Manufacturing and Phosphate Fertilizer Production 
Risk and Technology Review

AGENCY: Environmental Protection Agency (EPA).

ACTION: Reconsideration; proposed rule.

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SUMMARY: This action proposes amendments to the National Emission 
Standards for Hazardous Air Pollutants (NESHAP) for the Phosphoric Acid 
Manufacturing and Phosphate Fertilizer Production source categories. 
The proposed amendments are in response to two petitions for 
reconsideration filed by industry stakeholders on the rule revisions to 
NESHAP for the Phosphoric Acid Manufacturing and Phosphate Fertilizer 
Production source categories that were promulgated on August 19, 2015 
(80 FR 50386) (hereafter the ``August 2015 Final Rule''). We are 
proposing to revise the compliance date by which affected sources must 
include emissions from oxidation reactors when determining compliance 
with the total fluoride (TF) emission limits for superphosphoric acid 
(SPA) process lines. We are also proposing to add a new option, and 
clarify an existing option, to the monitoring requirements for low-
energy absorbers. In addition, we are proposing to revise the 
compliance date for the monitoring requirements for low-energy 
absorbers.

DATES: Comments. Comments must be received on or before January 23, 
2017.
    Public Hearing. If anyone contacts the EPA requesting to speak at a 
public hearing by December 14, 2016, we will hold a public hearing on 
December 27, 2016 on the EPA campus at 109 T.W. Alexander Drive, 
Research Triangle Park, North Carolina.

ADDRESSES: Comments. Submit your comments, identified by Docket ID No. 
EPA-HQ-OAR-2012-0522, at http://www.regulations.gov. Follow the online 
instructions for submitting comments. Once submitted, comments cannot 
be edited or removed from Regulations.gov. The EPA may publish any 
comment received to its public docket. Do not submit electronically any 
information you consider to be Confidential Business Information (CBI) 
or other information whose disclosure is restricted by statute. 
Multimedia submissions (audio, video, etc.) must be accompanied by a 
written comment. The written comment is considered the official comment 
and should include discussion of all points you wish to make. The EPA 
will generally not consider comments or comment contents located 
outside of the primary submission (i.e., on the Web, cloud, or other 
file sharing system). For additional submission methods, the full EPA 
public comment policy, information about CBI or multimedia submissions, 
and general guidance on making effective comments, please visit http://www2.epa.gov/dockets/commenting-epa-dockets.
    Instructions. Direct your comments to Docket ID No. EPA-HQ-OAR-
2012-0522. The EPA's policy is that all comments received will be 
included in the public docket without change and may be made available 
online at http://www.regulations.gov, including any personal 
information provided, unless the comment includes information claimed 
to be CBI or other information whose disclosure is restricted by 
statute. Do not submit information that you consider to be CBI or 
otherwise protected through http://www.regulations.gov or email. The 
http://www.regulations.gov Web site is an ``anonymous access'' system, 
which means the EPA will not know your identity or contact information 
unless you provide it in the body of your comment. If you send an email 
comment directly to the EPA without going through http://www.regulations.gov, your email address will be automatically captured 
and included as part of the comment that is placed in the public docket 
and made available on the Internet. If you submit an electronic 
comment, the EPA recommends that you include your name and other 
contact information in the body of your comment and with any disk or 
CD-ROM you submit. If the EPA cannot read your comment due to technical 
difficulties and cannot contact you for clarification, the EPA may not 
be able to consider your comment. Electronic files should not include 
special characters or any form of encryption and be free of any defects 
or viruses. For additional information about the EPA's public docket, 
visit the EPA Docket Center homepage at http://www.epa.gov/dockets.
    Docket. The EPA has established a docket for this rulemaking under 
Docket ID No. EPA-HQ-OAR-2012-0522. All documents in the docket are 
listed in the Regulations.gov index. Although listed in the index, some 
information is not publicly available, e.g., 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. Publicly available docket 
materials are available either electronically in Regulations.gov or in 
hard copy at the EPA Docket Center, Room 3334, EPA WJC West Building, 
1301 Constitution Avenue NW., Washington, DC. The Public Reading Room 
is open from 8:30 a.m. to 4:30 p.m., Monday through Friday, excluding 
legal holidays. The telephone number for the Public Reading Room is 
(202) 566-1744, and the telephone number for the EPA Docket Center is 
(202) 566-1742.
    Public Hearing. A public hearing will be held, if requested by 
December 14, 2016, to accept oral comments on this proposed action. If 
a hearing is requested, it will be held at the EPA's North Carolina 
campus located at 109 T.W. Alexander Drive, Research Triangle Park, NC 
27711. The hearing, if requested, will begin at 10:00 a.m. (local time) 
and will continue until the earlier of 5:00 p.m. or 1 hour after the 
last registered speaker has spoken. To request a hearing, to register 
to speak at a hearing, or to inquire if a hearing will be held, please 
contact Ms. Pamela Garrett at (919) 541-7966 or by email at 
[email protected]. The last day to pre-register to speak at a 
hearing, if one is held, will be December 22, 2016. Additionally, 
requests to speak will be taken the day of the hearing at the hearing 
registration desk, although preferences on speaking times may not be 
able to be fulfilled. Please note that registration requests received 
before the

[[Page 89027]]

hearing will be confirmed by the EPA via email.
    Please note that any updates made to any aspect of the hearing, 
including whether or not a hearing will be held, will be posted online 
at https://www.epa.gov/stationary-sources-air-pollution/phosphate-fertilizer-production-plants-and-phosphoric-acid. We ask that you 
contact Pamela Garrett at (919) 541-7966 or by email at 
[email protected] or monitor our Web site to determine if a 
hearing will be held. The EPA does not intend to publish a notice in 
the Federal Register announcing any such updates. Please go to https://www3.epa.gov/ttn/atw/phosph/phosphpg.html for more information on the 
public hearing.

FOR FURTHER INFORMATION CONTACT: For questions about this proposed 
action, contact Ms. Susan Fairchild, Sector Policies and Programs 
Division (D243-02), Office of Air Quality Planning and Standards, 
Environmental Protection Agency, Research Triangle Park, North Carolina 
27711; telephone number: (919) 541-5167; email address: 
[email protected]. For information about the applicability of the 
NESHAP or the new source performance standards to a particular entity, 
contact Scott Throwe, Office of Enforcement and Compliance Assurance, 
U.S. Environmental Protection Agency, EPA WJC South Building, Mail Code 
2227A, 1200 Pennsylvania Avenue NW., Washington DC 20460; telephone 
number: (202)562-7013; and email address: [email protected].

SUPPLEMENTARY INFORMATION: 
    Preamble Acronyms and Abbreviations. We use multiple acronyms and 
terms in this preamble. While this list may not be exhaustive, to ease 
the reading of this preamble and for reference purposes, the EPA 
defines the following terms and acronyms here:

CAA Clean Air Act
CBI Confidential business information
CFR Code of Federal Regulations
EPA U.S. Environmental Protection Agency
FR Federal Register
MACT Maximum achievable control technology
NAICS North American Industry Classification System
NESHAP National emission standards for hazardous air pollutants
OMB Office of Management and Budget
PRA Paperwork Reduction Act
RTR Risk and technology review
SPA Superphosphoric acid
TF Total fluoride
TFI The Fertilizer Institute
tpy Tons per year
UMRA Unfunded Mandates Reform Act

    Organization of this Document. The information in this preamble is 
organized as follows:

I. General Information
    A. Does this action apply to me?
    B. What action is the Agency taking?
    C. Where can I get a copy of this document and other related 
information?
    D. What is the Agency's authority for taking this action?
    E. What are the incremental cost impacts of this action?
II. Background
III. Discussion of the Issues Under Reconsideration
    A. What amendments are we proposing for oxidation reactors and 
what is the rationale?
    B. What amendments are we proposing for absorber monitoring and 
what is the rationale?
IV. Summary of Cost, Environmental, and Economic Impacts
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 (PRA)
    C. Regulatory Flexibility Act (RFA)
    D. Unfunded Mandates Reform Act (UMRA)
    E. Executive Order 13132: Federalism
    F. Executive Order 13175: Consultation and Coordination With 
Indian Tribal Governments
    G. Executive Order 13045: Protection of Children From 
Environmental Health Risks and Safety Risks
    H. Executive Order 13211: Actions Concerning Regulations That 
Significantly Affect Energy Supply, Distribution, or Use
    I. National Technology Transfer and Advancement Act (NTTAA)
    J. Executive Order 12898: Federal Actions To Address 
Environmental Justice in Minority Populations and Low-Income 
Populations

I. General Information

A. Does this action apply to me?

    Regulated Entities. Categories and entities potentially regulated 
by this action are shown in Table 1 of this preamble.

    Table 1--NESHAP and Industrial Source Categories Affected by This
                             Proposed Action
------------------------------------------------------------------------
                                                               NAICS \a\
                  NESHAP and source category                      code
------------------------------------------------------------------------
Phosphoric Acid Manufacturing................................     325312
Phosphate Fertilizer Production..............................
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\a\ North American Industry Classification System.

    Table 1 of this preamble is not intended to be exhaustive, but 
rather to provide a guide for readers regarding entities likely to be 
affected by the proposed action for the source category listed. To 
determine whether your facility is affected, you should examine the 
applicability criteria in the appropriate NESHAP. If you have any 
questions regarding the applicability of any aspect of this NESHAP, 
please contact the appropriate person listed in the preceding FOR 
FURTHER INFORMATION CONTACT section of this preamble.

B. What action is the Agency taking?

    The EPA is proposing amendments to 40 CFR part 63, subpart AA and 
40 CFR part 63, subpart BB in response to two petitions for 
reconsideration on the August 2015 Final Rule. One petition was filed 
by The Fertilizer Institute (TFI) and the other petition was filed by 
Phosphate Corporation of Saskatchewan, including: PCS Phosphate 
Company, Inc.; White Springs Agricultural Chemical, Inc., d/b/a PCS 
Phosphate-White Springs; and PCS Nitrogen Fertilizer, L.P., 
(collectively ``PCS''). The standards for the Phosphoric Acid 
Manufacturing source category are found in 40 CFR part 63, subpart AA, 
and the standards for the Phosphate Fertilizer Production source 
category are found in 40 CFR part 63, subpart BB.
    The petitions are available in the docket for this action (see 
docket items EPA-HQ-OAR-2012-0522-0084 and EPA-HQ-OAR-2012-0522-0085).
    For 40 CFR part 63, subpart AA, we are proposing to:
     Revise the compliance date by which affected sources must 
include emissions from oxidation reactors when determining compliance 
with the TF emission limits for SPA process lines from August 19, 2016, 
to August 19, 2018.
    For both 40 CFR part 63, subpart AA and 40 CFR part 63, subpart BB, 
we are proposing to:
     Clarify one option and include an additional option for 
determining the liquid-to-gas ratio of low-energy absorbers; and
     Revise the compliance date for this monitoring requirement 
from August 19, 2015, to August 19, 2017.
    In addition to the issues above, one petitioner, PCS, requested 
that the EPA reconsider the TF emission limits for phosphate rock 
calciners. However, PCS subsequently withdrew this request and this 
issue is no longer part of this reconsideration.
    The rationale for these proposed amendments is provided in section 
III of this preamble. This action is limited to the specific issues 
raised in the petitions for reconsideration. Therefore, we will respond 
only to comments addressing issues that were raised in the petitions

[[Page 89028]]

for reconsideration. There are no changes to emission limits as a 
result of these proposed amendments, and we expect the proposed 
additional compliance time for oxidation reactors will have an 
insignificant effect on a phosphoric acid manufacturing plant's overall 
emissions. As stated in the preamble to the August 2015 Final Rule, the 
EPA's technology review revealed that SPA process lines at four 
different facilities include an oxidation reactor to remove organic 
impurities from the acid. Hydrogen fluoride emissions from SPA process 
lines including oxidation reactors account for less than 1 percent of 
all hydrogen fluoride emissions from the source category. Consequently, 
the risk assessment in the August 2015 final risk and technology review 
(RTR) is unchanged by these proposed amendments.

C. Where can I get a copy of this document and other related 
information?

    In addition to being available in the docket, an electronic copy of 
this action will also be available on the Internet through the 
Technology Transfer Network (TTN) Web site, a forum for information and 
technology exchange in various areas of air pollution control. 
Following signature by the EPA Administrator, the EPA will post a copy 
of this proposed action at https://www.epa.gov/stationary-sources-air-pollution/phosphate-fertilizer-production-plants-and-phosphoric-acid. 
Following publication in the Federal Register, the EPA will post the 
Federal Register version and key technical documents on this same Web 
site.

D. What is the agency's authority for taking this action?

    The statutory authority for this action is provided by sections 112 
and 307(d)(7)(B) of the Clean Air Act (CAA) as amended (42 U.S.C. 7412 
and 7607(d)(7)(B)).

E. What are the incremental cost impacts of this action?

    There are 12 facilities in the United States that manufacture 
phosphoric acid; two of these make only phosphoric acid. There are 11 
operating facilities that produce phosphate fertilizers; one of these 
makes only fertilizer. While Phosphoric Acid Manufacturing and 
Phosphate Fertilizer Production are two different source categories, 10 
facilities manufacture both phosphoric acid and phosphate fertilizer, 
and are, therefore, considered to be in both source categories.\1\
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    \1\ These are 2014 data.
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    In this action, we have revised the estimated incremental cost 
impacts that were presented in the August 2015 Final Rule to reflect 
new information provided by TFI that takes into account the 
installation of an additional absorber at the Agrium Nu-West facility. 
Agrium Nu-West's costs are in addition to those for PCS Aurora, whose 
absorber installation costs were included in the August 2015 Final 
Rule. Each of these two facilities are in both the Phosphoric Acid 
Manufacturing and the Phosphate Fertilizer Production source 
categories. Table 2 of this preamble compares the overall total capital 
investment (TCI) and associated total annualized cost (TAC) from the 
August 2015 Final Rule and the revised total costs for the proposed 
reconsideration. Detailed information about these revised costs are 
provided in section IV of this preamble.

    Table 2--Comparison of Costs To Comply With August 2015 Final Rule, as Provided in 2015 and as Revised in
                                            Proposed Reconsideration
----------------------------------------------------------------------------------------------------------------
                                                      August 2015 final rule       2016 Proposed reconsideration
                                                 ---------------------------------------------------------------
                    Cost item                                          Total                           Total
                                                   Total capital    annualized     Total capital    annualized
                                                    investment         cost         investment         cost
----------------------------------------------------------------------------------------------------------------
Oxidation Reactor Absorber......................        $270,500         $95,300        $541,000        $243,400
Bag Leak Detection System.......................          75,600          29,700          75,600          29,700
Testing.........................................               0          98,400               0          98,400
Recordkeeping and Reporting.....................               0          70,600               0          70,600
                                                 ---------------------------------------------------------------
    Total.......................................         346,100         294,000         616,600         442,100
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II. Background

    On June 10, 1999 (64 FR 31358), the EPA promulgated 40 CFR part 63, 
subpart AA for the Phosphoric Acid Manufacturing source category and 40 
CFR part 63, subpart BB for the Phosphate Fertilizer Production source 
category. On August 19, 2015 (80 FR 50386), the EPA published amended 
rules for both of these source categories that took into consideration 
the technology review and residual risk review required by sections 
112(d)(6) and 112(f) of the CAA, respectively. In addition to other 
changes, the amendments revised the SPA process line definition in 40 
CFR part 63, subpart AA to include oxidation reactors and revised the 
monitoring provisions for low-energy absorbers in 40 CFR part 63, 
subpart AA and subpart BB to require monitoring of liquid-to-gas ratio 
rather than pressure drop. For more information on the final 
amendments, see 80 FR 50386.
    Following promulgation of the August 2015 Final Rule, the EPA 
received two petitions for reconsideration. On October 15, 2015, and 
October 16, 2015, TFI and PCS, respectively, requested administrative 
reconsideration of amended 40 CFR part 63, subpart AA and subpart BB 
under CAA section 307(d)(7)(B).
    TFI requested that the EPA reconsider: (1) The compliance schedule 
for requiring affected sources to include emissions from oxidation 
reactors when determining compliance with the TF emission limits for 
SPA process lines; (2) the compliance schedule for continuously 
monitoring the liquid-to-gas ratio for low-energy absorbers; (3) the 
regulatory language describing the option for using design blower 
capacity to determine the gas flow rate through the absorber for use in 
monitoring the liquid-to-gas ratio; and (4) other available options to 
determine the gas flow rate through the absorber for use in monitoring 
the liquid-to-gas ratio. PCS requested an administrative 
reconsideration of these same provisions, and also requested that the 
EPA reconsider the monitoring requirements for different types of low-
energy absorbers.
    We considered all the petitioners' requests, consolidated the 
similar issues

[[Page 89029]]

regarding alternative monitoring options for low-energy absorbers, and 
grouped the issues into the following three distinct topics:
     Compliance deadlines for air oxidation reactors that are 
within SPA lines;
     Monitoring options for low-energy absorbers;
     Compliance deadlines for low-energy absorbers.
    On December 4, 2015, the EPA granted reconsideration on all 
petitioners' issues pursuant to section 307(d)(7)(B) of the CAA (see 
docket items EPA-HQ-OAR-2012-0522-0086 and EPA-HQ-OAR-2012-0522-0087). 
CAA section 307(d)(7)(B) provides that the EPA shall convene a 
proceeding to reconsider a rule if a person raising an objection can 
demonstrate: (1) That it was impracticable to raise the objection 
during the comment period, or that the grounds for such objection arose 
after the comment period, but within the time specified for judicial 
review (i.e., within 60 days after publication of the final rulemaking 
notice in the Federal Register), and (2) that the objection is of 
central relevance to the outcome of the rule. We granted 
reconsideration on these specific issues because the grounds for 
petitioner's objections arose after the public comment period (but 
within the time specified for judicial review) and the objections are 
of central relevance to the outcome of the final rule pursuant to CAA 
section 307(d)(7)(B).

III. Discussion of the Issues Under Reconsideration

A. What amendments are we proposing for oxidation reactors and what is 
the rationale?

    In response to TFI's and PCS's requests to reconsider the 
compliance schedule for requiring affected sources to include emissions 
from oxidation reactors when determining compliance with the TF 
emission limits for SPA process lines, we are proposing to revise the 
compliance date from August 19, 2016, to August 19, 2018.\2\ As part of 
their request for reconsideration, TFI stated that one facility (Agrium 
Nu-West) had commenced an evaluation of how best to control its 
oxidation reactor emissions. The petitioner stated that this evaluation 
could result in Agrium Nu-West deciding to install an entirely new 
absorber for the oxidation reactor, which would involve permitting, 
budgeting, design, and construction. Agrium Nu-West subsequently 
provided additional details about its evaluation project, stating that 
they needed at least another 6 months to complete the installation of 
ductwork to redirect the exhaust from their existing oxidation reactor 
to an existing absorber. Agrium Nu-West also said that it would need 
more time to conduct performance testing in order to determine if the 
existing absorber could handle the additional emissions loading. If the 
performance testing demonstrated that the absorber is unable to meet 
the existing TF limits, Agrium Nu-West said it would need an additional 
24 to 36 months to install a new absorber on its oxidation reactor. 
Furthermore, both petitioners (TFI, the industry trade group, and PCS, 
the affected company which is also represented by TFI) confirmed that 
PCS Aurora will need to install a new absorber to achieve compliance 
with the SPA process line TF emission limit. PCS Aurora stated that 
they would need 24 months to install a new absorber on their oxidation 
reactors.
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    \2\ Refer to proposed footnote ``c'' of Tables 1 and 2 of 40 CFR 
part 63, subpart AA.
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    Both PCS Aurora and Agrium Nu-West provided the EPA with timelines 
(see docket item EPA-HQ-OAR-2012-0522-0088) detailing specific 
permitting, budgeting, design, and construction milestones that each 
facility would need to reach in order to comply with the requirement to 
control emissions from oxidation reactors for SPA process lines. The 
EPA determined that these milestones are necessary, and the estimated 
timelines are reasonable and are consistent with the timing allowed by 
CAA section 112(i)(3) (i.e., no more than 3 years after promulgation). 
Therefore, in order to allow time for permitting, budgeting, design, 
and construction, the EPA is proposing an additional 2-year compliance 
period by which affected sources must include emissions from oxidation 
reactors when determining compliance with the TF emission limits for 
SPA process lines. This extension provides a total of 3 years from 
promulgation to comply with the rule. This compliance period is the 
maximum amount of time that the CAA allows, and is consistent with 
similar rulemakings where facilities comply by installing add-on 
control equipment.

B. What amendments are we proposing for absorber monitoring and what is 
the rationale?

    In today's action, we are clarifying why we are retaining the 
requirement to monitor the liquid-to-gas ratio for low-energy 
absorbers. We have determined that liquid-to-gas ratio for low-energy 
absorbers is the most appropriate option to ensure proper TF control. 
For gaseous absorbers (such as those controlling TF), increasing the 
scrubbing liquid flow maximizes the liquid surface area available for 
absorption and normally favors a higher control efficiency (see docket 
item EPA-HQ-OAR-2012-0522-0089). The requirement to develop the minimum 
liquid-to-gas ratio during a performance test establishes the minimum 
amount of scrubbing liquid that is necessary to absorb the TF at the 
level necessary to achieve the standard under the operating conditions 
at which the performance test was conducted. At a constant gas flow 
rate, increasing the scrubbing liquid flow rate may result in better TF 
control, but decreasing the liquid flow rate may lead to insufficient 
absorption and reduce the control efficiency. The liquid-to-gas ratio 
provides an indication of whether enough scrubbing liquid (e.g., water) 
is present to provide adequate TF absorption for the amount of gas 
flowing through the system. As such, if the liquid-to-gas ratio is not 
monitored for low-energy absorbers, then sources cannot be certain an 
absorber is sufficiently controlling TF.
    In response to TFI's and PCS's request for reconsideration of the 
compliance schedule for continuously monitoring the liquid-to-gas ratio 
for low-energy absorbers, we are proposing to revise the compliance 
date for existing sources to no later than August 19, 2017. We are 
changing the compliance date in order to allow owners and operators 
additional time to obtain and certify the instruments needed to monitor 
liquid-to-gas ratio. Until this proposed compliance date, owners and 
operators must continue to demonstrate compliance by monitoring the 
influent absorber liquid flow rate and the pressure drop through the 
absorber, and conform to the applicable operating limit or range 
established using the methodologies in 40 CFR 63.605(d)(1) and 40 CFR 
63.625(d)(1).\3\
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    \3\ Refer to proposed footnote ``b'' of Table 3 of 40 CFR part 
63, subpart AA and of Table 3 of 40 CFR part 63, subpart BB.
---------------------------------------------------------------------------

    Additionally, in response to TFI's and PCS's request for 
reconsideration of the regulatory language describing the option for 
using design blower capacity to determine the gas flow rate through the 
absorber for use in monitoring the liquid-to-gas ratio, we are 
proposing to clarify the procedure for using measured pressure drop and 
``design blower capacity'' to determine the gas flow rate through the 
absorber. Table 3 to subpart AA of 40 CFR part 63 currently requires 
owners and operators to monitor the liquid-to-gas ratio by measuring 
both the absorber inlet liquid flow rate, and inlet or outlet gas flow 
rate. However, the

[[Page 89030]]

rule also allows owners and operators the option to use measured 
pressure drop and ``design blower capacity'' to determine the gas flow 
rate through the absorber in lieu of direct measurement. Although we 
are retaining the requirement to monitor the liquid-to-gas ratio for 
low-energy absorbers, we are proposing to clarify and change the term 
``design blower capacity'' in Table 3 to subpart AA of 40 CFR part 63 
and Table 3 to subpart BB of 40 CFR part 63 to ``blower design 
capacity.'' We are proposing other minor text edits to these tables in 
order to use the phrase ``gas flow rate through the absorber'' more 
consistently. We are also proposing to insert footnote ``c'' into Table 
3 to subpart AA of 40 CFR part 63 and Table 3 to subpart BB of 40 CFR 
part 63 to clarify that the option to use blower design capacity is 
available regardless of the location of the blower (influent or 
effluent), as long as the gas flow rate through the absorber can be 
established. The blower design capacity option allows the owner or 
operator to determine a maximum possible gas flow rate through the 
absorber based on the blower's specifications. The owner or operator 
can monitor the influent liquid flow rate and use the maximum possible 
gas flow rate through the absorber to calculate the liquid-to-gas 
ratio. This option allows the owner or operator to reduce the 
monitoring requirements associated with the rule because the gas flow 
rate through the absorber is not required to be continuously monitored. 
However, if an owner or operator would like to have the flexibility to 
decrease the liquid flow rate through the absorber, the owner or 
operator can choose to monitor actual gas flow rate (along with liquid 
flow rate). As the gas flow rate decreases below the maximum possible 
gas flow rate, the minimum liquid flow rate required to achieve the 
minimum liquid-to-gas ratio also decreases.
    Furthermore, the intent to allow ``appropriate adjustments for 
pressure drop'' when blower design capacity is used, is to account for 
the effect of pressure drop on gas flow when establishing the maximum 
possible gas flow rate through the absorber under actual operating 
conditions using manufacturer information (e.g., a performance curve). 
The requirement is not intended to require continuous monitoring of the 
blower pressure drop. Because the pressure drop of the system changes 
the gas flow rate delivered by the blower, adjustments for pressure 
drop are required in cases where gas flow rate increases. We determined 
that it would not be technically appropriate to specify a single method 
for making this adjustment, because the method would vary depending on 
the design configuration of an individual gas handling system. However, 
to provide clarification (and to allow sources the flexibility to use 
best engineering judgment and calculations), we are proposing a 
requirement at 40 CFR 63.608(e) and 40 CFR 63.628(e) to document, in 
the site-specific monitoring plan, the calculations that were used to 
make adjustments for pressure drop if blower design capacity is used to 
establish the maximum possible gas flow rate through an absorber. 
Additional details and background on monitoring the liquid-to-gas ratio 
are included in the docket (see docket item EPA-HQ-OAR-2012-0522-0089 
and the guidance document, ``Clarification of Absorber Monitoring 
Requirements for National Emission Standards for Hazardous Air 
Pollutants (NESHAP)--Subparts AA and BB'' which is also available in 
the docket for this action).
    Also, in response to TFI's and PCS's requests for reconsideration 
of other available options to determine the gas flow rate through the 
absorber for use in monitoring the liquid-to-gas ratio, we are 
proposing to provide an additional option for determining the liquid-
to-gas ratio. Petitioners (TFI and PCS) took issue with the fact that 
the EPA did not consider other options (in lieu of direct measurement 
or using blower design capacity) for determining gas flow rate through 
the absorber. We acknowledge that there are other techniques for 
determining gas flow rate through an absorber (e.g., use of a damper 
setting to document a maximum gas flow rate through the absorber in 
lieu of the blower design capacity; back-calculating the gas flow rate 
by developing a correlation between static pressure and brake 
horsepower of the blower; or use of amperage of the blower as a 
surrogate). In particular, Mosaic Fertilizer, LLC (Mosaic) submitted to 
the EPA a case study (see ``Mosaic Case Study (Regression Model 
Example)'' available in the docket for this action) which 
simultaneously compared direct measurements of actual gas flow rate 
through an absorber to gas flow rates calculated using a regression 
model. The regression model that Mosaic used in this particular case 
study was developed using a design fan curve that correlates gas flow 
rate to static pressure (i.e., fan suction pressure) and brake 
horsepower of the blower. A paired t-test \4\ of the test data used in 
the case study reveals that there is a statistical difference between 
the gas flow rates that were directly measured and the gas flow rates 
that were calculated using the regression model; however, the 
regression model predicts a higher gas flow rate than was determined 
through direct measurement. A higher gas flow rate would require a 
higher liquid flow rate in order to maintain an established influent 
liquid-to-gas ratio operating limit; therefore, it is reasonable to 
conclude that the use of the regression model developed in this case 
study, in lieu of direct measurement, is a conservative method for 
determining gas flow rate through the absorber.
---------------------------------------------------------------------------

    \4\ A paired t-test is a statistical tool used to compare one 
set of values with another set of values, by checking to see if 
their means are equivalent at a specified confidence level.
---------------------------------------------------------------------------

    In the Regression Model Example that is available in the docket for 
this action, the brake horsepower of a blower is calculated by 
multiplying the blower amperage by the blower's voltage and efficiency 
(which can both be determined from the blower's motor nameplate), a 
power factor (which can be determined using tables that list typical 
power factors for various size motors), a conversion factor, and, if 
necessary, a constant to correct for 3-phase power. The calculated 
brake horsepower is then used in the regression model along with the 
blower static pressure (i.e., fan suction pressure) to determine gas 
flow rate through an absorber. As a result of our considering the 
Mosaic case study, we are proposing to include an option in Table 3 to 
subpart AA of 40 CFR part 63 and Table 3 to subpart BB of 40 CFR part 
63 that allows facilities to develop and use a regression model, by way 
of a design fan curve that correlates gas flow rate to static pressure 
(i.e., fan suction pressure) and brake horsepower of a blower, to 
determine gas flow rate through an absorber (in lieu of direct 
measurement or using blower design capacity). If this option is used, 
we are proposing a requirement in footnote ``a'' of Table 4 to subpart 
AA of 40 CFR part 63 and Table 4 to subpart BB of 40 CFR part 63 that 
requires continuous monitoring of blower amperage, blower static 
pressure (i.e., fan suction pressure), and any other parameters used in 
the regression model that are not constants.
    We have not included equations that must be used in the regression 
model in order to allow owners and operators the flexibility to adjust 
this approach as necessary on a site-specific basis. As such, we are 
also proposing that the regression model must be developed using direct 
measurements of gas flow rate during a performance test, and then

[[Page 89031]]

annually checked via performance testing in order to ensure the 
correlation remains current and accurate. The annual regression model 
verification could be conducted during, or separately from, the annual 
performance testing that is required in the rule. To allow the 
flexibility to use best engineering judgment and calculations, we are 
proposing an annual requirement at 40 CFR 63.608(f) and 40 CFR 
63.628(f) to document, in the site-specific monitoring plan, the 
calculations that were used to develop the regression model and to 
require that the site-specific monitoring plan be updated annually to 
maintain accuracy and reflect data used in the annual regression model 
verification.
    Lastly, in response to PCS's request for reconsideration of 
monitoring requirements for different types of low-energy absorbers, we 
are proposing to insert footnote ``a'' into Table 3 to subpart AA of 40 
CFR part 63 and Table 3 to subpart BB of 40 CFR part 63 to remind 
affected entities that they can request an alternative monitoring 
method under the provisions of 40 CFR 63.8(f) on a site-specific basis. 
Such a request should include enough information to demonstrate the 
correlation between the selected operating parameter and gas flow rate 
through the absorber. Similarly, the petitioners also took issue that 
the EPA did not consider relevant design differences of low-energy 
absorbers such that the requirement to monitor the liquid-to-gas ratio 
may not be possible. In such cases, we are also proposing that the 
procedures at 40 CFR 63.8(f) be used to request to monitor an 
alternative operating parameter.

IV. Summary of Cost, Environmental, and Economic Impacts

    As part of their request for reconsideration (see docket item EPA-
HQ-OAR-2012-0522-0084), TFI notified the EPA that another facility 
(Agrium Nu-West) may also need to install an absorber in order to meet 
the SPA process line TF standard, when oxidation reactor emissions are 
included. The impacts for this other facility are in addition to those 
for PCS Aurora, whose absorber installation costs were included in the 
August 2015 Final Rule. Therefore, in this action, we are revising our 
estimate for overall TCI and associated TAC to comply with the August 
2015 Final Rule to take into account this additional absorber. Based on 
this revised analysis, we anticipate an overall TCI of $616,600, with 
an associated TAC of approximately $442,100. Similar to the August 2015 
Final Rule, these compliance costs also include estimates for all 
existing sources to add the necessary monitoring devices, conduct 
performance tests, and implement recordkeeping and reporting 
requirements to comply with the rules.
    Installing an absorber on the oxidation reactor at Agrium Nu-West 
will result in additional hydrogen fluoride emissions reductions of 
0.047 tons per year from the oxidation reactor (i.e., a reduction from 
0.049 tons per year to 0.002 tons per year(tpy)) and TF emissions 
reductions of 0.14 tpy from the oxidation reactor (i.e., a reduction 
from 0.147 tpy to 0.007 tpy). The details of the cost analyses and 
emissions reductions estimates are provided in the memorandum, 
``Control Costs and Emissions Reductions for Phosphoric Acid and 
Phosphate Fertilizer Production source categories--Reconsideration,'' 
which is available in the docket for this action. The economic impact 
associated with the revised cost estimate is an annualized control cost 
of about 0.01 percent of the parent company's annual revenues. The 
details on the economic impact analysis are provided in the memorandum, 
``Economic Impact Analysis for the Proposed Reconsideration of the 
National Emission Standards for Hazardous Air Pollutants: Phosphoric 
Acid Manufacturing and Phosphate Fertilizer Production source 
categories,'' which is available in the docket for this action.
    This action will have no other cost, environmental, energy, or 
economic impacts. This action primarily revises compliance dates 
specific to oxidation reactors in the Phosphoric Acid Manufacturing 
source category, and absorber monitoring in both the Phosphoric Acid 
Manufacturing and Phosphate Fertilizer Production source categories. 
The clarifications and other revisions we are proposing in response to 
reconsideration are cost neutral.

V. Statutory and Executive Order Reviews

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

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

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

B. Paperwork Reduction Act (PRA)

    This action does not impose any new information collection burden 
under the PRA. OMB has previously approved the information collection 
activities contained in the existing regulations and has assigned OMB 
control number 2060-0361. With this action, the EPA is seeking comments 
on proposed amendments to the 40 CFR part 63, subpart AA and 40 CFR 
part 63, subpart BB that are mainly clarifications to existing rule 
language to aid in implementation issues raised by stakeholders, or are 
being made to allow more time for compliance. Therefore, the EPA 
believes that there are no changes to the information collection 
requirements of the August 2015 Final Rule, so that the information 
collection estimate of project cost and hour burden from the final 
rules have not been revised.

C. Regulatory Flexibility Act (RFA)

    I certify that this action will not have a significant economic 
impact on a substantial number of small entities under the RFA. This 
action will not impose any requirements on small entities. This action 
seeks comments on proposed amendments to the 40 CFR part 63, subpart AA 
and 40 CFR part 63, subpart BB that are mainly clarifications to 
existing rule language to aid in implementation issues raised by 
stakeholders, or are being made to allow more time for compliance.

D. Unfunded Mandates Reform Act (UMRA)

    This action does not contain any unfunded mandate as described in 
UMRA, 2 U.S.C. 1531-1538, and does not significantly or uniquely affect 
small governments. This action imposes no enforceable duty on any 
state, local, or tribal governments or the private sector.

E. Executive Order 13132: Federalism

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

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

    This action does not have tribal implications, as specified in 
Executive Order 13175. It will not have substantial direct effects on 
tribal governments, on the relationship between the federal government 
and Indian tribes, or on the distribution of power and responsibilities 
between the federal government and Indian tribes, as specified in 
Executive Order 13175.

[[Page 89032]]

Thus, Executive Order 13175 does not apply to this action.

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

    This action is not subject to Executive Order 13045 because it is 
not economically significant as defined in Executive Order 12866, and 
because the EPA does not believe the environmental health or safety 
risks addressed by this action present a disproportionate risk to 
children. This action seeks comments on proposed amendments to the 40 
CFR part 63, subpart AA and 40 CFR part 63, subpart BB that are mainly 
clarifications to existing rule language to aid in implementation 
issues raised by stakeholders, or are being made to allow more time for 
compliance. We expect the proposed additional compliance time for 
oxidation reactors will have an insignificant effect on a phosphoric 
acid manufacturing plant's overall emissions. Hydrogen fluoride 
emissions from SPA process lines including oxidation reactors account 
for less than 1 percent of all hydrogen fluoride emissions from the 
source category. Therefore, the proposed amendments should not 
appreciably increase risk for any populations.

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

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

I. National Technology Transfer and Advancement Act (NTTAA)

    This action does not involve any new technical standards from those 
contained in the August 2015 Final Rule. Therefore, the EPA did not 
consider the use of any voluntary consensus standards.

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

    The EPA believes that this action does not have disproportionately 
high and adverse human health or environmental effects on minority 
populations, low-income populations, and/or indigenous peoples, as 
specified in Executive Order 12898 (59 FR 7629, February 16, 1994).
    The environmental justice finding in the August 2015 Final Rule 
remains relevant in this action, which seeks comments on proposed 
amendments to these rules that are mainly clarifications to existing 
rule language to aid in implementation issues raised by stakeholders, 
or are being made to allow more time for compliance. We expect the 
proposed additional compliance time for oxidation reactors will have an 
insignificant effect on a phosphoric acid manufacturing plant's overall 
emissions. Hydrogen fluoride emissions from SPA process lines including 
oxidation reactors account for less than 1 percent of all hydrogen 
fluoride emissions from the source category. Therefore, the proposed 
amendments should not appreciably increase risk for any populations.

List of Subjects in 40 CFR Part 63

    Environmental protection, Administrative practice and procedure, 
Air pollution control, Hazardous substances, Reporting and 
recordkeeping requirements.

    Dated: November 28, 2016.
Gina McCarthy,
Administrator.
    For the reasons stated in the preamble, the Environmental 
Protection Agency proposes to amend title 40, chapter I, of the Code of 
Federal Regulations as follows:

PART 63--NATIONAL EMISSION STANDARDS FOR HAZARDOUS AIR POLLUTANTS 
FOR SOURCE CATEGORIES

0
1. The authority citation for part 63 continues to read as follows:

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

Subpart AA--National Emission Standards for Hazardous Air 
Pollutants from Phosphoric Acid Manufacturing Plants

0
2. Section 63.608 is amended by adding paragraphs (e) and (f) to read 
as follows:


Sec.  63.608   General requirements and applicability of general 
provisions of this part.

* * * * *
    (e) If you use blower design capacity to determine the gas flow 
rate through the absorber for use in the liquid-to-gas ratio as 
specified in Table 3 to this subpart, then you must include in the 
site-specific monitoring plan specified in paragraph (c) of this 
section calculations showing how you determined the maximum possible 
gas flow rate through the absorber based on the blower's specifications 
(including any adjustments you made for pressure drop).
    (f) If you use a regression model to determine the gas flow rate 
through the absorber for use in the liquid-to-gas ratio as specified in 
Table 3 to this subpart, then you must include in the site-specific 
monitoring plan specified in paragraph (c) of this section the 
calculations that were used to develop the regression model, including 
the calculations you use to convert amperage of the blower to brake 
horsepower. You must describe any constants included in the equations 
(e.g., efficiency, power factor), and describe how these constants were 
determined. If you want to change a constant in your calculation, then 
you must conduct a regression model verification to confirm the new 
value of the constant. In addition, the site-specific monitoring plan 
must be updated annually to reflect the data used in the annual 
regression model verification that is described in Table 3 to this 
subpart.
0
3. Table 1 to subpart AA of part 63 is amended by revising footnote 
``c'' to read as follows:

  Table 1 to Subpart AA of Part 63--Existing Source Emission Limits a b
------------------------------------------------------------------------
 
-------------------------------------------------------------------------
 
                               * * * * *
------------------------------------------------------------------------
\c\ Beginning on August 19, 2018, you must include oxidation reactors in
  superphosphoric acid process lines when determining compliance with
  the total fluorides limit.

* * * * *
0
4. Table 2 to subpart AA of part 63 is amended by revising footnote 
``c'' to read as follows:

    Table 2 to Subpart AA of Part 63--New Source Emission Limits a b
------------------------------------------------------------------------
 
-------------------------------------------------------------------------
 
                               * * * * *
------------------------------------------------------------------------
\c\ Beginning on August 19, 2018, you must include oxidation reactors in
  superphosphoric acid process lines when determining compliance with
  the total fluorides limit.

0
5. Table 3 to subpart AA of part 63 is amended by:
0
a. Revising the column headings ``And you must monitor. . .'' and
    ``And. . .'' by including a reference to footnote a;
0
b. Revising the entry ``Install CPMS for liquid and gas flow at the 
inlet of the absorber''; and
0
c. Adding footnotes ``a'' through ``d'' to read as follows:

[[Page 89033]]



                   Table 3 to Subpart AA of Part 63--Monitoring Equipment Operating Parameters
----------------------------------------------------------------------------------------------------------------
                                                                 And you must monitor .
            You must . . .                     If . . .                 . . \a\               And . . . \a\
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
Install CPMS for liquid and gas flow   Your absorber is         Liquid-to-gas ratio as   You must determine the
 at the inlet of the absorber \b\.      designed and operated    determined by dividing   gas flow rate through
                                        with pressure drops of   the influent liquid      the absorber by:
                                        5 inches of water        flow rate by the gas    Measuring the gas flow
                                        column or less; or       flow rate through the    rate at the absorber
                                       Your absorber is          absorber. The units of   inlet or outlet;
                                        designed and operated    measure must be         Using the blower design
                                        with pressure drops of   consistent with those    capacity, with
                                        5 inches of water        used to calculate this   appropriate
                                        column or more, and      ratio during the         adjustments for
                                        you choose to monitor    performance test.        pressure drop; \c\ or
                                        the liquid-to-gas                                Using a regression
                                        ratio, rather than                                model.\d\
                                        only the influent
                                        liquid flow, and you
                                        want the ability to
                                        lower liquid flow with
                                        changes in gas flow.
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
\a\ To monitor an operating parameter that is not specified in this table (including process-specific techniques
  not specified in this table to determine gas flow rate through an absorber), you must request, on a site-
  specific basis, an alternative monitoring method under the provisions of 40 CFR 63.8(f).
\b\ For existing sources, if your absorber is designed and operated with pressure drops of 5 inches of water
  column or less, the compliance date is August 19, 2017. In the interim, for existing sources with an absorber
  designed and operated with pressure drops of 5 inches of water column or less, you must install CPMS for
  pressure at the gas stream inlet and outlet of the absorber, and monitor pressure drop through the absorber.
\c\ If you select this option, then you must comply with Sec.   63.608(e). The option to use blower design
  capacity is intended to establish the maximum possible gas flow through the absorber; and is available
  regardless of the location of the blower (influent or effluent), as long as the gas flow rate through the
  absorber can be established.
\d\ If you select this option, then you must comply with Sec.   63.608(f). The regression model must be
  developed using direct measurements of gas flow rate during a performance test, and design fan curves that
  correlate gas flow rate to static pressure (i.e., fan suction pressure) and brake horsepower of the blower.
  You must conduct an annual regression model verification using direct measurements of gas flow rate during a
  performance test to ensure the correlation remains accurate. The annual regression model verification may be
  conducted during, or separately from, the annual performance testing that is required in Sec.   63.606(b).

0
6. Table 4 to subpart AA of part 63 is amended by revising the entry 
``Influent liquid flow rate and gas stream flow rate'' to read as 
follows:

 Table 4 to Subpart AA of Part 63--Operating Parameters, Operating Limits and Data Monitoring, Recordkeeping and
                                             Compliance Frequencies
----------------------------------------------------------------------------------------------------------------
                                      You must        And you must monitor, record, and demonstrate continuous
  For the operating parameter      establish the          compliance using these minimum frequencies . . .
applicable to you, as specified      following     -------------------------------------------------------------
        in Table 3 . . .         operating limit .                                         Data averaging period
                                        . .          Data measurement    Data recording       for compliance
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
Influent liquid flow rate and    Minimum influent   Continuous.......  Every 15 minutes.  Daily.
 gas stream flow rate.            liquid-to-gas
                                  ratio \a\.
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
\a\ If you select the regression model option to monitor influent liquid-to-gas ratio as described in Table 3 to
  this subpart, then you must also continuously monitor (i.e., record every 15 minutes, and use a daily
  averaging period) blower amperage, blower static pressure (i.e., fan suction pressure), and any other
  parameters used in the regression model that are not a constant.

Subpart BB--National Emission Standards for Hazardous Air 
Pollutants From Phosphate Fertilizers Production Plants

0
7. Section 63.628 is amended by adding paragraphs (e) and (f) to read 
as follows:


Sec.  63.628   General requirements and applicability of general 
provisions of this part.

    (e) If you use blower design capacity to determine the gas flow 
rate through the absorber for use in the liquid-to-gas ratio as 
specified in Table 3 to this subpart, then you must include in the 
site-specific monitoring plan specified in paragraph (c) of this 
section calculations showing how you determined the maximum possible 
gas flow rate through the absorber based on the blower's specifications 
(including any adjustments you made for pressure drop).
    (f) If you use a regression model to determine the gas flow rate 
through the absorber for use in the liquid-to-gas ratio as specified in 
Table 3 to this subpart, then you must include in the site-specific 
monitoring plan specified in paragraph (c) of this section the 
calculations that were used to develop the regression model, including 
the calculations you use to convert amperage of the blower to brake 
horsepower. You must describe any constants included in the equations 
(e.g., efficiency, power factor), and describe how these constants were

[[Page 89034]]

determined. If you want to change a constant in your calculation, then 
you must conduct a regression model verification to confirm the new 
value of the constant. In addition, the site-specific monitoring plan 
must be updated annually to reflect the data used in the annual 
regression model verification that is described in Table 3 to this 
subpart.
0
8. Table 3 to subpart BB of part 63 is amended by:
0
a. Revising the column headings ``And you must monitor. . .'' and 
``And. . .'' by including a reference to footnote a;
0
b. Revising the entry ``Install CPMS for liquid and gas flow at the 
inlet of the absorber''; and
0
c. Adding footnotes ``a'' through ``d'' to read as follows:

                   Table 3 to Subpart BB of Part 63--Monitoring Equipment Operating Parameters
----------------------------------------------------------------------------------------------------------------
                                                                 And you must monitor .
            You must . . .                     If . . .                  . .\a\                And . . .\a\
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
Install CPMS for liquid and gas flow   Your absorber is         Liquid-to-gas ratio as   You must determine the
 at the inlet of the absorber \b\.      designed and operated    determined by dividing   gas flow rate through
                                        with pressure drops of   the influent liquid      the absorber by:
                                        5 inches of water        flow rate by the gas    Measuring the gas flow
                                        column or less; or       flow rate through the    rate at the absorber
                                       Your absorber is          absorber. The units of   inlet or outlet;
                                        designed and operated    measure must be         Using the blower design
                                        with pressure drops of   consistent with those    capacity, with
                                        5 inches of water        used to calculate this   appropriate
                                        column or more, and      ratio during the         adjustments for
                                        you choose to monitor    performance test.        pressure drop; \c\ or
                                        the liquid-to-gas                                Using a regression
                                        ratio, rather than                                model.\d\
                                        only the influent
                                        liquid flow, and you
                                        want the ability to
                                        lower liquid flow with
                                        changes in gas flow.
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
\a\ To monitor an operating parameter that is not specified in this table (including process-specific techniques
  not specified in this table to determine gas flow rate through an absorber), you must request, on a site-
  specific basis, an alternative monitoring method under the provisions of 40 CFR 63.8(f).
\b\ For existing sources, if your absorber is designed and operated with pressure drops of 5 inches of water
  column or less, the compliance date is August 19, 2017. In the interim, for existing sources with an absorber
  designed and operated with pressure drops of 5 inches of water column or less, you must install CPMS for
  pressure at the gas stream inlet and outlet of the absorber, and monitor pressure drop through the absorber.
\c\ If you select this option, then you must comply with Sec.   63.628(e). The option to use blower design
  capacity is intended to establish the maximum possible gas flow through the absorber; and is available
  regardless of the location of the blower (influent or effluent), as long as the gas flow rate through the
  absorber can be established.
\d\ If you select this option, then you must comply with Sec.   63.628(f). The regression model must be
  developed using direct measurements of gas flow rate during a performance test, and design fan curves that
  correlate gas flow rate to static pressure (i.e., fan suction pressure) and brake horsepower of the blower.
  You must conduct an annual regression model verification using direct measurements of gas flow rate during a
  performance test to ensure the correlation remains accurate. The annual regression model verification may be
  conducted during, or separately from, the annual performance testing that is required in Sec.   63.626(b).

0
9. Table 4 to subpart BB of part 63 is amended by revising the column 
headings and entry for ``Influent liquid flow rate and gas stream flow 
rate'' to read as follows:

 Table 4 to Subpart BB of Part 63--Operating Parameters, Operating Limits and Data Monitoring, Recordkeeping and
                                             Compliance Frequencies
----------------------------------------------------------------------------------------------------------------
                                      You must        And you must monitor, record, and demonstrate continuous
                                   establish the          compliance using these minimum frequencies . . .
  For the operating parameter        following     -------------------------------------------------------------
applicable to you, as specified   operating limit
        in Table 3 . . .            during your                                            Data averaging period
                                  performance test   Data measurement    Data recording       for compliance
                                       . . .
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
Influent liquid flow rate and    Minimum influent   Continuous.......  Every 15 minutes.  Daily.
 gas stream flow rate.            liquid-to-gas
                                  ratio \a\.
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
\a\ If you select the regression model option to monitor influent liquid-to-gas ratio as described in Table 3 to
  this subpart, then you must also continuously monitor (i.e., record every 15 minutes, and use a daily
  averaging period) blower amperage, blower static pressure (i.e., fan suction pressure), and any other
  parameters used in the regression model that are not a constant.

[FR Doc. 2016-29236 Filed 12-8-16; 8:45 am]
BILLING CODE 6560-50-P



                                                    89026                  Federal Register / Vol. 81, No. 237 / Friday, December 9, 2016 / Proposed Rules

                                                    or in any other area where the EPA or                   compliance date for the monitoring                    that is placed in the public docket and
                                                    an Indian tribe has demonstrated that a                 requirements for low-energy absorbers.                made available on the Internet. If you
                                                    tribe has jurisdiction. In those areas of               DATES: Comments. Comments must be                     submit an electronic comment, the EPA
                                                    Indian country, the rule does not have                  received on or before January 23, 2017.               recommends that you include your
                                                    tribal implications and will not impose                   Public Hearing. If anyone contacts the              name and other contact information in
                                                    substantial direct costs on tribal                      EPA requesting to speak at a public                   the body of your comment and with any
                                                    governments or preempt tribal law as                    hearing by December 14, 2016, we will                 disk or CD–ROM you submit. If the EPA
                                                    specified by Executive Order 13175 (65                  hold a public hearing on December 27,                 cannot read your comment due to
                                                    FR 67249, November 9, 2000).                            2016 on the EPA campus at 109 T.W.                    technical difficulties and cannot contact
                                                                                                            Alexander Drive, Research Triangle                    you for clarification, the EPA may not
                                                    List of Subjects in 40 CFR Part 52
                                                                                                            Park, North Carolina.                                 be able to consider your comment.
                                                      Environmental protection, Air                         ADDRESSES: Comments. Submit your                      Electronic files should not include
                                                    pollution control, Incorporation by                     comments, identified by Docket ID No.                 special characters or any form of
                                                    reference, Intergovernmental relations,                 EPA–HQ–OAR–2012–0522, at http://                      encryption and be free of any defects or
                                                    Ozone, Particulate matter, Reporting                    www.regulations.gov. Follow the online                viruses. For additional information
                                                    and recordkeeping requirements,                         instructions for submitting comments.                 about the EPA’s public docket, visit the
                                                    Volatile organic compounds.                             Once submitted, comments cannot be                    EPA Docket Center homepage at http://
                                                       Authority: 42 U.S.C. 7401 et seq.                    edited or removed from Regulations.gov.               www.epa.gov/dockets.
                                                      Dated: November 21, 2016.                             The EPA may publish any comment                          Docket. The EPA has established a
                                                                                                            received to its public docket. Do not                 docket for this rulemaking under Docket
                                                    Alexis Strauss,
                                                                                                            submit electronically any information                 ID No. EPA–HQ–OAR–2012–0522. All
                                                    Acting Regional Administrator, Region IX.                                                                     documents in the docket are listed in
                                                                                                            you consider to be Confidential
                                                    [FR Doc. 2016–29594 Filed 12–8–16; 8:45 am]                                                                   the Regulations.gov index. Although
                                                                                                            Business Information (CBI) or other
                                                    BILLING CODE 6560–50–P
                                                                                                            information whose disclosure is                       listed in the index, some information is
                                                                                                            restricted by statute. Multimedia                     not publicly available, e.g., CBI or other
                                                                                                            submissions (audio, video, etc.) must be              information whose disclosure is
                                                    ENVIRONMENTAL PROTECTION                                                                                      restricted by statute. Certain other
                                                                                                            accompanied by a written comment.
                                                    AGENCY                                                                                                        material, such as copyrighted material,
                                                                                                            The written comment is considered the
                                                    40 CFR Part 63                                          official comment and should include                   is not placed on the Internet and will be
                                                                                                            discussion of all points you wish to                  publicly available only in hard copy.
                                                    [EPA–HQ–OAR–2012–0522; FRL–9956–00–                     make. The EPA will generally not                      Publicly available docket materials are
                                                    OAR]                                                    consider comments or comment                          available either electronically in
                                                                                                            contents located outside of the primary               Regulations.gov or in hard copy at the
                                                    RIN 2060–AT14                                           submission (i.e., on the Web, cloud, or               EPA Docket Center, Room 3334, EPA
                                                                                                            other file sharing system). For                       WJC West Building, 1301 Constitution
                                                    Phosphoric Acid Manufacturing and                                                                             Avenue NW., Washington, DC. The
                                                    Phosphate Fertilizer Production Risk                    additional submission methods, the full
                                                                                                            EPA public comment policy,                            Public Reading Room is open from 8:30
                                                    and Technology Review                                                                                         a.m. to 4:30 p.m., Monday through
                                                                                                            information about CBI or multimedia
                                                    AGENCY:  Environmental Protection                       submissions, and general guidance on                  Friday, excluding legal holidays. The
                                                    Agency (EPA).                                           making effective comments, please visit               telephone number for the Public
                                                    ACTION: Reconsideration; proposed rule.                 http://www2.epa.gov/dockets/                          Reading Room is (202) 566–1744, and
                                                                                                            commenting-epa-dockets.                               the telephone number for the EPA
                                                    SUMMARY:   This action proposes                           Instructions. Direct your comments to               Docket Center is (202) 566–1742.
                                                    amendments to the National Emission                     Docket ID No. EPA–HQ–OAR–2012–                           Public Hearing. A public hearing will
                                                    Standards for Hazardous Air Pollutants                  0522. The EPA’s policy is that all                    be held, if requested by December 14,
                                                    (NESHAP) for the Phosphoric Acid                        comments received will be included in                 2016, to accept oral comments on this
                                                    Manufacturing and Phosphate Fertilizer                  the public docket without change and                  proposed action. If a hearing is
                                                    Production source categories. The                       may be made available online at http://               requested, it will be held at the EPA’s
                                                    proposed amendments are in response                     www.regulations.gov, including any                    North Carolina campus located at 109
                                                    to two petitions for reconsideration filed              personal information provided, unless                 T.W. Alexander Drive, Research
                                                    by industry stakeholders on the rule                    the comment includes information                      Triangle Park, NC 27711. The hearing, if
                                                    revisions to NESHAP for the Phosphoric                  claimed to be CBI or other information                requested, will begin at 10:00 a.m. (local
                                                    Acid Manufacturing and Phosphate                        whose disclosure is restricted by statute.            time) and will continue until the earlier
                                                    Fertilizer Production source categories                 Do not submit information that you                    of 5:00 p.m. or 1 hour after the last
                                                    that were promulgated on August 19,                     consider to be CBI or otherwise                       registered speaker has spoken. To
                                                    2015 (80 FR 50386) (hereafter the                       protected through http://                             request a hearing, to register to speak at
                                                    ‘‘August 2015 Final Rule’’). We are                     www.regulations.gov or email. The                     a hearing, or to inquire if a hearing will
                                                    proposing to revise the compliance date                 http://www.regulations.gov Web site is                be held, please contact Ms. Pamela
                                                    by which affected sources must include                  an ‘‘anonymous access’’ system, which                 Garrett at (919) 541–7966 or by email at
                                                    emissions from oxidation reactors when                  means the EPA will not know your                      garrett.pamela@epa.gov. The last day to
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                                                    determining compliance with the total                   identity or contact information unless                pre-register to speak at a hearing, if one
                                                    fluoride (TF) emission limits for                       you provide it in the body of your                    is held, will be December 22, 2016.
                                                    superphosphoric acid (SPA) process                      comment. If you send an email                         Additionally, requests to speak will be
                                                    lines. We are also proposing to add a                   comment directly to the EPA without                   taken the day of the hearing at the
                                                    new option, and clarify an existing                     going through http://                                 hearing registration desk, although
                                                    option, to the monitoring requirements                  www.regulations.gov, your email                       preferences on speaking times may not
                                                    for low-energy absorbers. In addition,                  address will be automatically captured                be able to be fulfilled. Please note that
                                                    we are proposing to revise the                          and included as part of the comment                   registration requests received before the


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                                                                           Federal Register / Vol. 81, No. 237 / Friday, December 9, 2016 / Proposed Rules                                                89027

                                                    hearing will be confirmed by the EPA                      Organization of this Document. The                       proposed action for the source category
                                                    via email.                                              information in this preamble is                            listed. To determine whether your
                                                       Please note that any updates made to                 organized as follows:                                      facility is affected, you should examine
                                                    any aspect of the hearing, including                    I. General Information                                     the applicability criteria in the
                                                    whether or not a hearing will be held,                     A. Does this action apply to me?                        appropriate NESHAP. If you have any
                                                    will be posted online at https://                          B. What action is the Agency taking?                    questions regarding the applicability of
                                                    www.epa.gov/stationary-sources-air-                        C. Where can I get a copy of this document              any aspect of this NESHAP, please
                                                                                                                  and other related information?                       contact the appropriate person listed in
                                                    pollution/phosphate-fertilizer-                            D. What is the Agency’s authority for
                                                    production-plants-and-phosphoric-acid.                                                                             the preceding FOR FURTHER INFORMATION
                                                                                                                  taking this action?                                  CONTACT section of this preamble.
                                                    We ask that you contact Pamela Garrett                     E. What are the incremental cost impacts
                                                    at (919) 541–7966 or by email at                              of this action?                                      B. What action is the Agency taking?
                                                    garrett.pamela@epa.gov or monitor our                   II. Background
                                                                                                            III. Discussion of the Issues Under                           The EPA is proposing amendments to
                                                    Web site to determine if a hearing will
                                                                                                                  Reconsideration                                      40 CFR part 63, subpart AA and 40 CFR
                                                    be held. The EPA does not intend to
                                                                                                               A. What amendments are we proposing for                 part 63, subpart BB in response to two
                                                    publish a notice in the Federal Register
                                                                                                                  oxidation reactors and what is the                   petitions for reconsideration on the
                                                    announcing any such updates. Please go
                                                                                                                  rationale?                                           August 2015 Final Rule. One petition
                                                    to https://www3.epa.gov/ttn/atw/                           B. What amendments are we proposing for                 was filed by The Fertilizer Institute
                                                    phosph/phosphpg.html for more                                 absorber monitoring and what is the                  (TFI) and the other petition was filed by
                                                    information on the public hearing.                            rationale?                                           Phosphate Corporation of
                                                                                                            IV. Summary of Cost, Environmental, and
                                                    FOR FURTHER INFORMATION CONTACT:     For                                                                           Saskatchewan, including: PCS
                                                                                                                  Economic Impacts
                                                    questions about this proposed action,                   V. Statutory and Executive Order Reviews                   Phosphate Company, Inc.; White
                                                    contact Ms. Susan Fairchild, Sector                        A. Executive Order 12866: Regulatory                    Springs Agricultural Chemical, Inc., d/
                                                    Policies and Programs Division (D243–                         Planning and Review and Executive                    b/a PCS Phosphate-White Springs; and
                                                    02), Office of Air Quality Planning and                       Order 13563: Improving Regulation and                PCS Nitrogen Fertilizer, L.P.,
                                                    Standards, Environmental Protection                           Regulatory Review                                    (collectively ‘‘PCS’’). The standards for
                                                    Agency, Research Triangle Park, North                      B. Paperwork Reduction Act (PRA)                        the Phosphoric Acid Manufacturing
                                                    Carolina 27711; telephone number:                          C. Regulatory Flexibility Act (RFA)                     source category are found in 40 CFR
                                                    (919) 541–5167; email address:                             D. Unfunded Mandates Reform Act                         part 63, subpart AA, and the standards
                                                                                                                  (UMRA)
                                                    fairchild.susan@epa.gov. For                                                                                       for the Phosphate Fertilizer Production
                                                                                                               E. Executive Order 13132: Federalism
                                                    information about the applicability of                     F. Executive Order 13175: Consultation                  source category are found in 40 CFR
                                                    the NESHAP or the new source                                  and Coordination With Indian Tribal                  part 63, subpart BB.
                                                    performance standards to a particular                         Governments                                             The petitions are available in the
                                                    entity, contact Scott Throwe, Office of                    G. Executive Order 13045: Protection of                 docket for this action (see docket items
                                                    Enforcement and Compliance                                    Children From Environmental Health                   EPA–HQ–OAR–2012–0522–0084 and
                                                    Assurance, U.S. Environmental                                 Risks and Safety Risks                               EPA–HQ–OAR–2012–0522–0085).
                                                    Protection Agency, EPA WJC South                           H. Executive Order 13211: Actions                          For 40 CFR part 63, subpart AA, we
                                                    Building, Mail Code 2227A, 1200                               Concerning Regulations That                          are proposing to:
                                                    Pennsylvania Avenue NW., Washington                           Significantly Affect Energy Supply,                     • Revise the compliance date by
                                                                                                                  Distribution, or Use                                 which affected sources must include
                                                    DC 20460; telephone number: (202)562–                      I. National Technology Transfer and
                                                    7013; and email address: throwe.scott@                                                                             emissions from oxidation reactors when
                                                                                                                  Advancement Act (NTTAA)
                                                    epa.gov.                                                   J. Executive Order 12898: Federal Actions
                                                                                                                                                                       determining compliance with the TF
                                                                                                                  To Address Environmental Justice in                  emission limits for SPA process lines
                                                    SUPPLEMENTARY INFORMATION:                                                                                         from August 19, 2016, to August 19,
                                                                                                                  Minority Populations and Low-Income
                                                      Preamble Acronyms and                                       Populations                                          2018.
                                                    Abbreviations. We use multiple                                                                                        For both 40 CFR part 63, subpart AA
                                                                                                            I. General Information                                     and 40 CFR part 63, subpart BB, we are
                                                    acronyms and terms in this preamble.
                                                    While this list may not be exhaustive, to               A. Does this action apply to me?                           proposing to:
                                                    ease the reading of this preamble and for                                                                             • Clarify one option and include an
                                                                                                              Regulated Entities. Categories and                       additional option for determining the
                                                    reference purposes, the EPA defines the                 entities potentially regulated by this
                                                    following terms and acronyms here:                                                                                 liquid-to-gas ratio of low-energy
                                                                                                            action are shown in Table 1 of this                        absorbers; and
                                                    CAA Clean Air Act                                       preamble.                                                     • Revise the compliance date for this
                                                    CBI Confidential business information
                                                                                                                                                                       monitoring requirement from August 19,
                                                    CFR Code of Federal Regulations                           TABLE 1—NESHAP AND INDUSTRIAL
                                                    EPA U.S. Environmental Protection Agency                                                                           2015, to August 19, 2017.
                                                    FR Federal Register
                                                                                                               SOURCE CATEGORIES AFFECTED BY                              In addition to the issues above, one
                                                    MACT Maximum achievable control                            THIS PROPOSED ACTION                                    petitioner, PCS, requested that the EPA
                                                      technology                                                                                                       reconsider the TF emission limits for
                                                    NAICS North American Industry                                                                         NAICS a      phosphate rock calciners. However, PCS
                                                                                                              NESHAP and source category
                                                      Classification System                                                                                code        subsequently withdrew this request and
                                                    NESHAP National emission standards for                                                                             this issue is no longer part of this
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                                                      hazardous air pollutants                              Phosphoric Acid Manufacturing ....
                                                                                                            Phosphate Fertilizer Production ...             325312     reconsideration.
                                                    OMB Office of Management and Budget                                                                                   The rationale for these proposed
                                                    PRA Paperwork Reduction Act                               a North   American         Industry     Classification   amendments is provided in section III of
                                                    RTR Risk and technology review                          System.
                                                    SPA Superphosphoric acid
                                                                                                                                                                       this preamble. This action is limited to
                                                    TF Total fluoride                                         Table 1 of this preamble is not                          the specific issues raised in the petitions
                                                    TFI The Fertilizer Institute                            intended to be exhaustive, but rather to                   for reconsideration. Therefore, we will
                                                    tpy Tons per year                                       provide a guide for readers regarding                      respond only to comments addressing
                                                    UMRA Unfunded Mandates Reform Act                       entities likely to be affected by the                      issues that were raised in the petitions


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                                                    89028                           Federal Register / Vol. 81, No. 237 / Friday, December 9, 2016 / Proposed Rules

                                                    for reconsideration. There are no                                           Network (TTN) Web site, a forum for                               Phosphoric Acid Manufacturing and
                                                    changes to emission limits as a result of                                   information and technology exchange in                            Phosphate Fertilizer Production are two
                                                    these proposed amendments, and we                                           various areas of air pollution control.                           different source categories, 10 facilities
                                                    expect the proposed additional                                              Following signature by the EPA                                    manufacture both phosphoric acid and
                                                    compliance time for oxidation reactors                                      Administrator, the EPA will post a copy                           phosphate fertilizer, and are, therefore,
                                                    will have an insignificant effect on a                                      of this proposed action at https://                               considered to be in both source
                                                    phosphoric acid manufacturing plant’s                                       www.epa.gov/stationary-sources-air-                               categories.1
                                                    overall emissions. As stated in the                                         pollution/phosphate-fertilizer-                                      In this action, we have revised the
                                                    preamble to the August 2015 Final Rule,                                     production-plants-and-phosphoric-acid.                            estimated incremental cost impacts that
                                                    the EPA’s technology review revealed                                        Following publication in the Federal                              were presented in the August 2015 Final
                                                    that SPA process lines at four different                                    Register, the EPA will post the Federal                           Rule to reflect new information
                                                    facilities include an oxidation reactor to                                  Register version and key technical                                provided by TFI that takes into account
                                                    remove organic impurities from the                                          documents on this same Web site.                                  the installation of an additional absorber
                                                    acid. Hydrogen fluoride emissions from                                                                                                        at the Agrium Nu-West facility. Agrium
                                                                                                                                D. What is the agency’s authority for
                                                    SPA process lines including oxidation                                                                                                         Nu-West’s costs are in addition to those
                                                                                                                                taking this action?
                                                    reactors account for less than 1 percent                                                                                                      for PCS Aurora, whose absorber
                                                    of all hydrogen fluoride emissions from                                        The statutory authority for this action                        installation costs were included in the
                                                    the source category. Consequently, the                                      is provided by sections 112 and                                   August 2015 Final Rule. Each of these
                                                    risk assessment in the August 2015 final                                    307(d)(7)(B) of the Clean Air Act (CAA)                           two facilities are in both the Phosphoric
                                                    risk and technology review (RTR) is                                         as amended (42 U.S.C. 7412 and                                    Acid Manufacturing and the Phosphate
                                                    unchanged by these proposed                                                 7607(d)(7)(B)).                                                   Fertilizer Production source categories.
                                                    amendments.                                                                                                                                   Table 2 of this preamble compares the
                                                                                                                                E. What are the incremental cost
                                                                                                                                                                                                  overall total capital investment (TCI)
                                                    C. Where can I get a copy of this                                           impacts of this action?
                                                                                                                                                                                                  and associated total annualized cost
                                                    document and other related
                                                                                                                                  There are 12 facilities in the United                           (TAC) from the August 2015 Final Rule
                                                    information?
                                                                                                                                States that manufacture phosphoric                                and the revised total costs for the
                                                      In addition to being available in the                                     acid; two of these make only phosphoric                           proposed reconsideration. Detailed
                                                    docket, an electronic copy of this action                                   acid. There are 11 operating facilities                           information about these revised costs
                                                    will also be available on the Internet                                      that produce phosphate fertilizers; one                           are provided in section IV of this
                                                    through the Technology Transfer                                             of these makes only fertilizer. While                             preamble.

                                                     TABLE 2—COMPARISON OF COSTS TO COMPLY WITH AUGUST 2015 FINAL RULE, AS PROVIDED IN 2015 AND AS REVISED
                                                                                       IN PROPOSED RECONSIDERATION

                                                                                                                                                                                   August 2015 final rule            2016 Proposed reconsideration

                                                                                                       Cost item                                                                                   Total                                 Total
                                                                                                                                                                             Total capital                            Total capital
                                                                                                                                                                                                 annualized                            annualized
                                                                                                                                                                             investment                               investment
                                                                                                                                                                                                    cost                                  cost

                                                    Oxidation Reactor Absorber ............................................................................                        $270,500           $95,300             $541,000        $243,400
                                                    Bag Leak Detection System ............................................................................                           75,600            29,700               75,600          29,700
                                                    Testing .............................................................................................................                 0            98,400                    0          98,400
                                                    Recordkeeping and Reporting .........................................................................                                 0            70,600                    0          70,600

                                                          Total ..........................................................................................................          346,100           294,000              616,600         442,100



                                                    II. Background                                                              provisions for low-energy absorbers in                            emission limits for SPA process lines;
                                                                                                                                40 CFR part 63, subpart AA and subpart                            (2) the compliance schedule for
                                                       On June 10, 1999 (64 FR 31358), the                                      BB to require monitoring of liquid-to-gas                         continuously monitoring the liquid-to-
                                                    EPA promulgated 40 CFR part 63,                                             ratio rather than pressure drop. For                              gas ratio for low-energy absorbers; (3)
                                                    subpart AA for the Phosphoric Acid                                          more information on the final                                     the regulatory language describing the
                                                    Manufacturing source category and 40                                        amendments, see 80 FR 50386.                                      option for using design blower capacity
                                                    CFR part 63, subpart BB for the                                               Following promulgation of the August                            to determine the gas flow rate through
                                                    Phosphate Fertilizer Production source                                      2015 Final Rule, the EPA received two                             the absorber for use in monitoring the
                                                    category. On August 19, 2015 (80 FR                                         petitions for reconsideration. On                                 liquid-to-gas ratio; and (4) other
                                                    50386), the EPA published amended                                           October 15, 2015, and October 16, 2015,                           available options to determine the gas
                                                    rules for both of these source categories                                   TFI and PCS, respectively, requested                              flow rate through the absorber for use in
                                                    that took into consideration the                                            administrative reconsideration of                                 monitoring the liquid-to-gas ratio. PCS
                                                    technology review and residual risk                                         amended 40 CFR part 63, subpart AA                                requested an administrative
                                                    review required by sections 112(d)(6)                                       and subpart BB under CAA section                                  reconsideration of these same
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                                                    and 112(f) of the CAA, respectively. In                                     307(d)(7)(B).                                                     provisions, and also requested that the
                                                    addition to other changes, the                                                TFI requested that the EPA                                      EPA reconsider the monitoring
                                                    amendments revised the SPA process                                          reconsider: (1) The compliance schedule                           requirements for different types of low-
                                                    line definition in 40 CFR part 63,                                          for requiring affected sources to include                         energy absorbers.
                                                    subpart AA to include oxidation                                             emissions from oxidation reactors when                               We considered all the petitioners’
                                                    reactors and revised the monitoring                                         determining compliance with the TF                                requests, consolidated the similar issues

                                                      1 These    are 2014 data.



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                                                                            Federal Register / Vol. 81, No. 237 / Friday, December 9, 2016 / Proposed Rules                                                    89029

                                                    regarding alternative monitoring options                project, stating that they needed at least            increasing the scrubbing liquid flow
                                                    for low-energy absorbers, and grouped                   another 6 months to complete the                      maximizes the liquid surface area
                                                    the issues into the following three                     installation of ductwork to redirect the              available for absorption and normally
                                                    distinct topics:                                        exhaust from their existing oxidation                 favors a higher control efficiency (see
                                                       • Compliance deadlines for air                       reactor to an existing absorber. Agrium               docket item EPA–HQ–OAR–2012–0522–
                                                    oxidation reactors that are within SPA                  Nu-West also said that it would need                  0089). The requirement to develop the
                                                    lines;                                                  more time to conduct performance                      minimum liquid-to-gas ratio during a
                                                       • Monitoring options for low-energy                  testing in order to determine if the                  performance test establishes the
                                                    absorbers;                                              existing absorber could handle the                    minimum amount of scrubbing liquid
                                                       • Compliance deadlines for low-                      additional emissions loading. If the                  that is necessary to absorb the TF at the
                                                    energy absorbers.                                       performance testing demonstrated that                 level necessary to achieve the standard
                                                       On December 4, 2015, the EPA                         the absorber is unable to meet the                    under the operating conditions at which
                                                    granted reconsideration on all                          existing TF limits, Agrium Nu-West said               the performance test was conducted. At
                                                    petitioners’ issues pursuant to section                 it would need an additional 24 to 36                  a constant gas flow rate, increasing the
                                                    307(d)(7)(B) of the CAA (see docket                     months to install a new absorber on its               scrubbing liquid flow rate may result in
                                                    items EPA–HQ–OAR–2012–0522–0086                         oxidation reactor. Furthermore, both                  better TF control, but decreasing the
                                                    and EPA–HQ–OAR–2012–0522–0087).                         petitioners (TFI, the industry trade                  liquid flow rate may lead to insufficient
                                                    CAA section 307(d)(7)(B) provides that                  group, and PCS, the affected company                  absorption and reduce the control
                                                    the EPA shall convene a proceeding to                   which is also represented by TFI)                     efficiency. The liquid-to-gas ratio
                                                    reconsider a rule if a person raising an                confirmed that PCS Aurora will need to                provides an indication of whether
                                                    objection can demonstrate: (1) That it                  install a new absorber to achieve                     enough scrubbing liquid (e.g., water) is
                                                    was impracticable to raise the objection                compliance with the SPA process line                  present to provide adequate TF
                                                    during the comment period, or that the                  TF emission limit. PCS Aurora stated                  absorption for the amount of gas flowing
                                                    grounds for such objection arose after                  that they would need 24 months to                     through the system. As such, if the
                                                    the comment period, but within the                      install a new absorber on their oxidation             liquid-to-gas ratio is not monitored for
                                                    time specified for judicial review (i.e.,               reactors.                                             low-energy absorbers, then sources
                                                    within 60 days after publication of the                    Both PCS Aurora and Agrium Nu-                     cannot be certain an absorber is
                                                    final rulemaking notice in the Federal                  West provided the EPA with timelines                  sufficiently controlling TF.
                                                    Register), and (2) that the objection is of             (see docket item EPA–HQ–OAR–2012–                        In response to TFI’s and PCS’s request
                                                    central relevance to the outcome of the                 0522–0088) detailing specific                         for reconsideration of the compliance
                                                    rule. We granted reconsideration on                     permitting, budgeting, design, and                    schedule for continuously monitoring
                                                    these specific issues because the                       construction milestones that each                     the liquid-to-gas ratio for low-energy
                                                    grounds for petitioner’s objections arose               facility would need to reach in order to              absorbers, we are proposing to revise the
                                                    after the public comment period (but                    comply with the requirement to control                compliance date for existing sources to
                                                    within the time specified for judicial                  emissions from oxidation reactors for                 no later than August 19, 2017. We are
                                                    review) and the objections are of central               SPA process lines. The EPA determined                 changing the compliance date in order
                                                    relevance to the outcome of the final                   that these milestones are necessary, and              to allow owners and operators
                                                    rule pursuant to CAA section                            the estimated timelines are reasonable                additional time to obtain and certify the
                                                    307(d)(7)(B).                                           and are consistent with the timing                    instruments needed to monitor liquid-
                                                    III. Discussion of the Issues Under                     allowed by CAA section 112(i)(3) (i.e.,               to-gas ratio. Until this proposed
                                                    Reconsideration                                         no more than 3 years after                            compliance date, owners and operators
                                                                                                            promulgation). Therefore, in order to                 must continue to demonstrate
                                                    A. What amendments are we proposing                     allow time for permitting, budgeting,                 compliance by monitoring the influent
                                                    for oxidation reactors and what is the                  design, and construction, the EPA is                  absorber liquid flow rate and the
                                                    rationale?                                              proposing an additional 2-year                        pressure drop through the absorber, and
                                                      In response to TFI’s and PCS’s                        compliance period by which affected                   conform to the applicable operating
                                                    requests to reconsider the compliance                   sources must include emissions from                   limit or range established using the
                                                    schedule for requiring affected sources                 oxidation reactors when determining                   methodologies in 40 CFR 63.605(d)(1)
                                                    to include emissions from oxidation                     compliance with the TF emission limits                and 40 CFR 63.625(d)(1).3
                                                    reactors when determining compliance                    for SPA process lines. This extension                    Additionally, in response to TFI’s and
                                                    with the TF emission limits for SPA                     provides a total of 3 years from                      PCS’s request for reconsideration of the
                                                    process lines, we are proposing to revise               promulgation to comply with the rule.                 regulatory language describing the
                                                    the compliance date from August 19,                     This compliance period is the maximum                 option for using design blower capacity
                                                    2016, to August 19, 2018.2 As part of                   amount of time that the CAA allows,                   to determine the gas flow rate through
                                                    their request for reconsideration, TFI                  and is consistent with similar                        the absorber for use in monitoring the
                                                    stated that one facility (Agrium Nu-                    rulemakings where facilities comply by                liquid-to-gas ratio, we are proposing to
                                                    West) had commenced an evaluation of                    installing add-on control equipment.                  clarify the procedure for using measured
                                                    how best to control its oxidation reactor               B. What amendments are we proposing                   pressure drop and ‘‘design blower
                                                    emissions. The petitioner stated that                   for absorber monitoring and what is the               capacity’’ to determine the gas flow rate
                                                    this evaluation could result in Agrium                  rationale?                                            through the absorber. Table 3 to subpart
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                                                    Nu-West deciding to install an entirely                                                                       AA of 40 CFR part 63 currently requires
                                                    new absorber for the oxidation reactor,                   In today’s action, we are clarifying                owners and operators to monitor the
                                                    which would involve permitting,                         why we are retaining the requirement to               liquid-to-gas ratio by measuring both the
                                                    budgeting, design, and construction.                    monitor the liquid-to-gas ratio for low-              absorber inlet liquid flow rate, and inlet
                                                    Agrium Nu-West subsequently provided                    energy absorbers. We have determined                  or outlet gas flow rate. However, the
                                                    additional details about its evaluation                 that liquid-to-gas ratio for low-energy
                                                                                                            absorbers is the most appropriate option                3 Refer to proposed footnote ‘‘b’’ of Table 3 of 40
                                                      2 Referto proposed footnote ‘‘c’’ of Tables 1 and     to ensure proper TF control. For gaseous              CFR part 63, subpart AA and of Table 3 of 40 CFR
                                                    2 of 40 CFR part 63, subpart AA.                        absorbers (such as those controlling TF),             part 63, subpart BB.



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                                                    89030                  Federal Register / Vol. 81, No. 237 / Friday, December 9, 2016 / Proposed Rules

                                                    rule also allows owners and operators                   to specify a single method for making                  study reveals that there is a statistical
                                                    the option to use measured pressure                     this adjustment, because the method                    difference between the gas flow rates
                                                    drop and ‘‘design blower capacity’’ to                  would vary depending on the design                     that were directly measured and the gas
                                                    determine the gas flow rate through the                 configuration of an individual gas                     flow rates that were calculated using the
                                                    absorber in lieu of direct measurement.                 handling system. However, to provide                   regression model; however, the
                                                    Although we are retaining the                           clarification (and to allow sources the                regression model predicts a higher gas
                                                    requirement to monitor the liquid-to-gas                flexibility to use best engineering                    flow rate than was determined through
                                                    ratio for low-energy absorbers, we are                  judgment and calculations), we are                     direct measurement. A higher gas flow
                                                    proposing to clarify and change the term                proposing a requirement at 40 CFR                      rate would require a higher liquid flow
                                                    ‘‘design blower capacity’’ in Table 3 to                63.608(e) and 40 CFR 63.628(e) to                      rate in order to maintain an established
                                                    subpart AA of 40 CFR part 63 and Table                  document, in the site-specific                         influent liquid-to-gas ratio operating
                                                    3 to subpart BB of 40 CFR part 63 to                    monitoring plan, the calculations that                 limit; therefore, it is reasonable to
                                                    ‘‘blower design capacity.’’ We are                      were used to make adjustments for                      conclude that the use of the regression
                                                    proposing other minor text edits to these               pressure drop if blower design capacity                model developed in this case study, in
                                                    tables in order to use the phrase ‘‘gas                 is used to establish the maximum                       lieu of direct measurement, is a
                                                    flow rate through the absorber’’ more                   possible gas flow rate through an                      conservative method for determining
                                                    consistently. We are also proposing to                  absorber. Additional details and                       gas flow rate through the absorber.
                                                    insert footnote ‘‘c’’ into Table 3 to                   background on monitoring the liquid-to-                   In the Regression Model Example that
                                                    subpart AA of 40 CFR part 63 and Table                  gas ratio are included in the docket (see              is available in the docket for this action,
                                                    3 to subpart BB of 40 CFR part 63 to                    docket item EPA–HQ–OAR–2012–0522–                      the brake horsepower of a blower is
                                                    clarify that the option to use blower                   0089 and the guidance document,                        calculated by multiplying the blower
                                                    design capacity is available regardless of              ‘‘Clarification of Absorber Monitoring                 amperage by the blower’s voltage and
                                                    the location of the blower (influent or                 Requirements for National Emission                     efficiency (which can both be
                                                    effluent), as long as the gas flow rate                 Standards for Hazardous Air Pollutants                 determined from the blower’s motor
                                                    through the absorber can be established.                (NESHAP)—Subparts AA and BB’’                          nameplate), a power factor (which can
                                                    The blower design capacity option                       which is also available in the docket for              be determined using tables that list
                                                    allows the owner or operator to                         this action).                                          typical power factors for various size
                                                    determine a maximum possible gas flow                      Also, in response to TFI’s and PCS’s                motors), a conversion factor, and, if
                                                    rate through the absorber based on the                  requests for reconsideration of other                  necessary, a constant to correct for 3-
                                                    blower’s specifications. The owner or                   available options to determine the gas                 phase power. The calculated brake
                                                    operator can monitor the influent liquid                flow rate through the absorber for use in              horsepower is then used in the
                                                    flow rate and use the maximum possible                  monitoring the liquid-to-gas ratio, we                 regression model along with the blower
                                                    gas flow rate through the absorber to                   are proposing to provide an additional                 static pressure (i.e., fan suction
                                                    calculate the liquid-to-gas ratio. This                 option for determining the liquid-to-gas               pressure) to determine gas flow rate
                                                    option allows the owner or operator to                  ratio. Petitioners (TFI and PCS) took                  through an absorber. As a result of our
                                                    reduce the monitoring requirements                      issue with the fact that the EPA did not               considering the Mosaic case study, we
                                                    associated with the rule because the gas                consider other options (in lieu of direct              are proposing to include an option in
                                                    flow rate through the absorber is not                   measurement or using blower design                     Table 3 to subpart AA of 40 CFR part
                                                                                                            capacity) for determining gas flow rate                63 and Table 3 to subpart BB of 40 CFR
                                                    required to be continuously monitored.
                                                                                                            through the absorber. We acknowledge                   part 63 that allows facilities to develop
                                                    However, if an owner or operator would
                                                                                                            that there are other techniques for                    and use a regression model, by way of
                                                    like to have the flexibility to decrease
                                                                                                            determining gas flow rate through an                   a design fan curve that correlates gas
                                                    the liquid flow rate through the
                                                                                                            absorber (e.g., use of a damper setting to             flow rate to static pressure (i.e., fan
                                                    absorber, the owner or operator can
                                                                                                            document a maximum gas flow rate                       suction pressure) and brake horsepower
                                                    choose to monitor actual gas flow rate
                                                                                                            through the absorber in lieu of the                    of a blower, to determine gas flow rate
                                                    (along with liquid flow rate). As the gas
                                                                                                            blower design capacity; back-calculating               through an absorber (in lieu of direct
                                                    flow rate decreases below the maximum
                                                                                                            the gas flow rate by developing a                      measurement or using blower design
                                                    possible gas flow rate, the minimum
                                                                                                            correlation between static pressure and                capacity). If this option is used, we are
                                                    liquid flow rate required to achieve the
                                                                                                            brake horsepower of the blower; or use                 proposing a requirement in footnote ‘‘a’’
                                                    minimum liquid-to-gas ratio also
                                                                                                            of amperage of the blower as a                         of Table 4 to subpart AA of 40 CFR part
                                                    decreases.
                                                                                                            surrogate). In particular, Mosaic                      63 and Table 4 to subpart BB of 40 CFR
                                                       Furthermore, the intent to allow                     Fertilizer, LLC (Mosaic) submitted to the              part 63 that requires continuous
                                                    ‘‘appropriate adjustments for pressure                  EPA a case study (see ‘‘Mosaic Case                    monitoring of blower amperage, blower
                                                    drop’’ when blower design capacity is                   Study (Regression Model Example)’’                     static pressure (i.e., fan suction
                                                    used, is to account for the effect of                   available in the docket for this action)               pressure), and any other parameters
                                                    pressure drop on gas flow when                          which simultaneously compared direct                   used in the regression model that are
                                                    establishing the maximum possible gas                   measurements of actual gas flow rate                   not constants.
                                                    flow rate through the absorber under                    through an absorber to gas flow rates                     We have not included equations that
                                                    actual operating conditions using                       calculated using a regression model.                   must be used in the regression model in
                                                    manufacturer information (e.g., a                       The regression model that Mosaic used                  order to allow owners and operators the
                                                    performance curve). The requirement is
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                                                                                                            in this particular case study was                      flexibility to adjust this approach as
                                                    not intended to require continuous                      developed using a design fan curve that                necessary on a site-specific basis. As
                                                    monitoring of the blower pressure drop.                 correlates gas flow rate to static pressure            such, we are also proposing that the
                                                    Because the pressure drop of the system                 (i.e., fan suction pressure) and brake                 regression model must be developed
                                                    changes the gas flow rate delivered by                  horsepower of the blower. A paired t-                  using direct measurements of gas flow
                                                    the blower, adjustments for pressure                    test 4 of the test data used in the case               rate during a performance test, and then
                                                    drop are required in cases where gas
                                                    flow rate increases. We determined that                   4 A paired t-test is a statistical tool used to      values, by checking to see if their means are
                                                    it would not be technically appropriate                 compare one set of values with another set of          equivalent at a specified confidence level.



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                                                                           Federal Register / Vol. 81, No. 237 / Friday, December 9, 2016 / Proposed Rules                                           89031

                                                    annually checked via performance                        include estimates for all existing sources            PRA. OMB has previously approved the
                                                    testing in order to ensure the correlation              to add the necessary monitoring                       information collection activities
                                                    remains current and accurate. The                       devices, conduct performance tests, and               contained in the existing regulations
                                                    annual regression model verification                    implement recordkeeping and reporting                 and has assigned OMB control number
                                                    could be conducted during, or                           requirements to comply with the rules.                2060–0361. With this action, the EPA is
                                                    separately from, the annual performance                    Installing an absorber on the                      seeking comments on proposed
                                                    testing that is required in the rule. To                oxidation reactor at Agrium Nu-West                   amendments to the 40 CFR part 63,
                                                    allow the flexibility to use best                       will result in additional hydrogen                    subpart AA and 40 CFR part 63, subpart
                                                    engineering judgment and calculations,                  fluoride emissions reductions of 0.047                BB that are mainly clarifications to
                                                    we are proposing an annual requirement                  tons per year from the oxidation reactor              existing rule language to aid in
                                                    at 40 CFR 63.608(f) and 40 CFR                          (i.e., a reduction from 0.049 tons per                implementation issues raised by
                                                    63.628(f) to document, in the site-                     year to 0.002 tons per year(tpy)) and TF              stakeholders, or are being made to allow
                                                    specific monitoring plan, the                           emissions reductions of 0.14 tpy from                 more time for compliance. Therefore,
                                                    calculations that were used to develop                  the oxidation reactor (i.e., a reduction              the EPA believes that there are no
                                                    the regression model and to require that                from 0.147 tpy to 0.007 tpy). The details             changes to the information collection
                                                    the site-specific monitoring plan be                    of the cost analyses and emissions                    requirements of the August 2015 Final
                                                    updated annually to maintain accuracy                   reductions estimates are provided in the              Rule, so that the information collection
                                                    and reflect data used in the annual                     memorandum, ‘‘Control Costs and                       estimate of project cost and hour burden
                                                    regression model verification.                          Emissions Reductions for Phosphoric                   from the final rules have not been
                                                       Lastly, in response to PCS’s request                 Acid and Phosphate Fertilizer                         revised.
                                                    for reconsideration of monitoring                       Production source categories—
                                                    requirements for different types of low-                Reconsideration,’’ which is available in              C. Regulatory Flexibility Act (RFA)
                                                    energy absorbers, we are proposing to                   the docket for this action. The economic                 I certify that this action will not have
                                                    insert footnote ‘‘a’’ into Table 3 to                   impact associated with the revised cost               a significant economic impact on a
                                                    subpart AA of 40 CFR part 63 and Table                  estimate is an annualized control cost of             substantial number of small entities
                                                    3 to subpart BB of 40 CFR part 63 to                    about 0.01 percent of the parent                      under the RFA. This action will not
                                                    remind affected entities that they can                  company’s annual revenues. The details                impose any requirements on small
                                                    request an alternative monitoring                       on the economic impact analysis are                   entities. This action seeks comments on
                                                    method under the provisions of 40 CFR                   provided in the memorandum,                           proposed amendments to the 40 CFR
                                                    63.8(f) on a site-specific basis. Such a                ‘‘Economic Impact Analysis for the                    part 63, subpart AA and 40 CFR part 63,
                                                    request should include enough                           Proposed Reconsideration of the                       subpart BB that are mainly clarifications
                                                    information to demonstrate the                          National Emission Standards for                       to existing rule language to aid in
                                                    correlation between the selected                        Hazardous Air Pollutants: Phosphoric                  implementation issues raised by
                                                    operating parameter and gas flow rate                   Acid Manufacturing and Phosphate                      stakeholders, or are being made to allow
                                                    through the absorber. Similarly, the                    Fertilizer Production source categories,’’            more time for compliance.
                                                    petitioners also took issue that the EPA                which is available in the docket for this
                                                    did not consider relevant design                                                                              D. Unfunded Mandates Reform Act
                                                                                                            action.                                               (UMRA)
                                                    differences of low-energy absorbers such                   This action will have no other cost,
                                                    that the requirement to monitor the                     environmental, energy, or economic                       This action does not contain any
                                                    liquid-to-gas ratio may not be possible.                impacts. This action primarily revises                unfunded mandate as described in
                                                    In such cases, we are also proposing that               compliance dates specific to oxidation                UMRA, 2 U.S.C. 1531–1538, and does
                                                    the procedures at 40 CFR 63.8(f) be used                reactors in the Phosphoric Acid                       not significantly or uniquely affect small
                                                    to request to monitor an alternative                    Manufacturing source category, and                    governments. This action imposes no
                                                    operating parameter.                                    absorber monitoring in both the                       enforceable duty on any state, local, or
                                                    IV. Summary of Cost, Environmental,                     Phosphoric Acid Manufacturing and                     tribal governments or the private sector.
                                                    and Economic Impacts                                    Phosphate Fertilizer Production source                E. Executive Order 13132: Federalism
                                                                                                            categories. The clarifications and other
                                                      As part of their request for                                                                                  This action does not have federalism
                                                                                                            revisions we are proposing in response
                                                    reconsideration (see docket item EPA–                                                                         implications. It will not have substantial
                                                                                                            to reconsideration are cost neutral.
                                                    HQ–OAR–2012–0522–0084), TFI                                                                                   direct effects on the states, on the
                                                    notified the EPA that another facility                  V. Statutory and Executive Order                      relationship between the national
                                                    (Agrium Nu-West) may also need to                       Reviews                                               government and the states, or on the
                                                    install an absorber in order to meet the                  Additional information about these                  distribution of power and
                                                    SPA process line TF standard, when                      statutes and Executive Orders can be                  responsibilities among the various
                                                    oxidation reactor emissions are                         found at http://www2.epa.gov/laws-                    levels of government.
                                                    included. The impacts for this other                    regulations/laws-and-executive-orders.
                                                    facility are in addition to those for PCS                                                                     F. Executive Order 13175: Consultation
                                                    Aurora, whose absorber installation                     A. Executive Order 12866: Regulatory                  and Coordination With Indian Tribal
                                                    costs were included in the August 2015                  Planning and Review and Executive                     Governments
                                                    Final Rule. Therefore, in this action, we               Order 13563: Improving Regulation and                   This action does not have tribal
                                                    are revising our estimate for overall TCI               Regulatory Review                                     implications, as specified in Executive
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                                                    and associated TAC to comply with the                     This action is not a significant                    Order 13175. It will not have substantial
                                                    August 2015 Final Rule to take into                     regulatory action and was, therefore, not             direct effects on tribal governments, on
                                                    account this additional absorber. Based                 submitted to the Office of Management                 the relationship between the federal
                                                    on this revised analysis, we anticipate                 and Budget (OMB) for review.                          government and Indian tribes, or on the
                                                    an overall TCI of $616,600, with an                                                                           distribution of power and
                                                    associated TAC of approximately                         B. Paperwork Reduction Act (PRA)                      responsibilities between the federal
                                                    $442,100. Similar to the August 2015                      This action does not impose any new                 government and Indian tribes, as
                                                    Final Rule, these compliance costs also                 information collection burden under the               specified in Executive Order 13175.


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                                                    89032                  Federal Register / Vol. 81, No. 237 / Friday, December 9, 2016 / Proposed Rules

                                                    Thus, Executive Order 13175 does not                    these rules that are mainly clarifications               (f) If you use a regression model to
                                                    apply to this action.                                   to existing rule language to aid in                   determine the gas flow rate through the
                                                                                                            implementation issues raised by                       absorber for use in the liquid-to-gas ratio
                                                    G. Executive Order 13045: Protection of
                                                                                                            stakeholders, or are being made to allow              as specified in Table 3 to this subpart,
                                                    Children From Environmental Health
                                                                                                            more time for compliance. We expect                   then you must include in the site-
                                                    Risks and Safety Risks                                  the proposed additional compliance                    specific monitoring plan specified in
                                                      This action is not subject to Executive               time for oxidation reactors will have an              paragraph (c) of this section the
                                                    Order 13045 because it is not                           insignificant effect on a phosphoric acid             calculations that were used to develop
                                                    economically significant as defined in                  manufacturing plant’s overall emissions.              the regression model, including the
                                                    Executive Order 12866, and because the                  Hydrogen fluoride emissions from SPA                  calculations you use to convert
                                                    EPA does not believe the environmental                  process lines including oxidation                     amperage of the blower to brake
                                                    health or safety risks addressed by this                reactors account for less than 1 percent              horsepower. You must describe any
                                                    action present a disproportionate risk to               of all hydrogen fluoride emissions from               constants included in the equations
                                                    children. This action seeks comments                    the source category. Therefore, the                   (e.g., efficiency, power factor), and
                                                    on proposed amendments to the 40 CFR                    proposed amendments should not                        describe how these constants were
                                                    part 63, subpart AA and 40 CFR part 63,                 appreciably increase risk for any                     determined. If you want to change a
                                                    subpart BB that are mainly clarifications               populations.                                          constant in your calculation, then you
                                                    to existing rule language to aid in                     List of Subjects in 40 CFR Part 63                    must conduct a regression model
                                                    implementation issues raised by                                                                               verification to confirm the new value of
                                                    stakeholders, or are being made to allow                  Environmental protection,                           the constant. In addition, the site-
                                                    more time for compliance. We expect                     Administrative practice and procedure,                specific monitoring plan must be
                                                    the proposed additional compliance                      Air pollution control, Hazardous                      updated annually to reflect the data
                                                    time for oxidation reactors will have an                substances, Reporting and                             used in the annual regression model
                                                    insignificant effect on a phosphoric acid               recordkeeping requirements.                           verification that is described in Table 3
                                                    manufacturing plant’s overall emissions.                  Dated: November 28, 2016.                           to this subpart.
                                                    Hydrogen fluoride emissions from SPA                    Gina McCarthy,                                        ■ 3. Table 1 to subpart AA of part 63 is
                                                    process lines including oxidation                       Administrator.                                        amended by revising footnote ‘‘c’’ to
                                                    reactors account for less than 1 percent                  For the reasons stated in the                       read as follows:
                                                    of all hydrogen fluoride emissions from                 preamble, the Environmental Protection
                                                    the source category. Therefore, the                     Agency proposes to amend title 40,                        TABLE 1 TO SUBPART AA OF PART
                                                    proposed amendments should not                          chapter I, of the Code of Federal                          63—EXISTING SOURCE EMISSION
                                                    appreciably increase risk for any                       Regulations as follows:                                    LIMITS a b
                                                    populations.
                                                                                                            PART 63—NATIONAL EMISSION
                                                    H. Executive Order 13211: Actions                       STANDARDS FOR HAZARDOUS AIR
                                                    Concerning Regulations That                                                                                   *          *      *         *        *
                                                                                                            POLLUTANTS FOR SOURCE
                                                    Significantly Affect Energy Supply,                     CATEGORIES
                                                    Distribution, or Use                                                                                            c Beginning on August 19, 2018, you must

                                                                                                            ■ 1. The authority citation for part 63               include oxidation reactors in superphosphoric
                                                      This action is not subject to Executive                                                                     acid process lines when determining compli-
                                                    Order 13211 because it is not a                         continues to read as follows:                         ance with the total fluorides limit.
                                                    significant regulatory action under                         Authority: 42 U.S.C. 7401 et seq.
                                                                                                                                                                  *     *     *     *    *
                                                    Executive Order 12866.
                                                                                                            Subpart AA—National Emission                          ■ 4. Table 2 to subpart AA of part 63 is
                                                    I. National Technology Transfer and                     Standards for Hazardous Air Pollutants                amended by revising footnote ‘‘c’’ to
                                                    Advancement Act (NTTAA)                                 from Phosphoric Acid Manufacturing                    read as follows:
                                                      This action does not involve any new                  Plants
                                                    technical standards from those                                                                                 TABLE 2 TO SUBPART AA OF PART
                                                                                                            ■ 2. Section 63.608 is amended by                     63—NEW SOURCE EMISSION LIMITS a b
                                                    contained in the August 2015 Final                      adding paragraphs (e) and (f) to read as
                                                    Rule. Therefore, the EPA did not                        follows:
                                                    consider the use of any voluntary
                                                    consensus standards.                                    § 63.608 General requirements and                     *          *      *         *        *
                                                                                                            applicability of general provisions of this
                                                    J. Executive Order 12898: Federal                       part.                                                   c Beginning on August 19, 2018, you must
                                                    Actions To Address Environmental                                                                              include oxidation reactors in superphosphoric
                                                                                                            *      *     *     *   *
                                                    Justice in Minority Populations and                        (e) If you use blower design capacity              acid process lines when determining compli-
                                                    Low-Income Populations                                                                                        ance with the total fluorides limit.
                                                                                                            to determine the gas flow rate through
                                                       The EPA believes that this action does               the absorber for use in the liquid-to-gas             ■ 5. Table 3 to subpart AA of part 63 is
                                                    not have disproportionately high and                    ratio as specified in Table 3 to this                 amended by:
                                                    adverse human health or environmental                   subpart, then you must include in the                 ■ a. Revising the column headings ‘‘And
                                                    effects on minority populations, low-                   site-specific monitoring plan specified               you must monitor. . .’’ and
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                                                    income populations, and/or indigenous                   in paragraph (c) of this section                        ‘‘And. . .’’ by including a reference to
                                                    peoples, as specified in Executive Order                calculations showing how you                          footnote a;
                                                    12898 (59 FR 7629, February 16, 1994).                  determined the maximum possible gas                   ■ b. Revising the entry ‘‘Install CPMS
                                                       The environmental justice finding in                 flow rate through the absorber based on               for liquid and gas flow at the inlet of the
                                                    the August 2015 Final Rule remains                      the blower’s specifications (including                absorber’’; and
                                                    relevant in this action, which seeks                    any adjustments you made for pressure                 ■ c. Adding footnotes ‘‘a’’ through ‘‘d’’
                                                    comments on proposed amendments to                      drop).                                                to read as follows:




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                                                                           Federal Register / Vol. 81, No. 237 / Friday, December 9, 2016 / Proposed Rules                                                                   89033

                                                                        TABLE 3 TO SUBPART AA OF PART 63—MONITORING EQUIPMENT OPERATING PARAMETERS
                                                    You must . . .                            If . . .                                       And you must monitor . . .        a          And . . .   a




                                                              *                 *                             *                      *                  *                                    *                     *
                                                    Install CPMS for liquid and gas           Your absorber is designed and Liquid-to-gas ratio as determined                             You must determine the gas flow
                                                      flow at the inlet of the ab-              operated with pressure drops of        by dividing the influent liquid                      rate through the absorber by:
                                                      sorber b.                                 5 inches of water column or            flow rate by the gas flow rate                     Measuring the gas flow rate at the
                                                                                                less; or                               through the absorber. The units                      absorber inlet or outlet;
                                                                                              Your absorber is designed and            of measure must be consistent                      Using the blower design capacity,
                                                                                                operated with pressure drops of        with those used to calculate this                    with appropriate adjustments for
                                                                                                5 inches of water column or            ratio during the performance                         pressure drop; c or
                                                                                                more, and you choose to mon-           test.                                              Using a regression model.d
                                                                                                itor the liquid-to-gas ratio, rather
                                                                                                than only the influent liquid flow,
                                                                                                and you want the ability to
                                                                                                lower liquid flow with changes in
                                                                                                gas flow.

                                                                *                     *                         *                        *                           *                        *                          *
                                                        a To monitor an operating parameter that is not specified in this table (including process-specific techniques not specified in this table to deter-
                                                    mine gas flow rate through an absorber), you must request, on a site-specific basis, an alternative monitoring method under the provisions of 40
                                                    CFR 63.8(f).
                                                       b For existing sources, if your absorber is designed and operated with pressure drops of 5 inches of water column or less, the compliance date
                                                    is August 19, 2017. In the interim, for existing sources with an absorber designed and operated with pressure drops of 5 inches of water column
                                                    or less, you must install CPMS for pressure at the gas stream inlet and outlet of the absorber, and monitor pressure drop through the absorber.
                                                       c If you select this option, then you must comply with § 63.608(e). The option to use blower design capacity is intended to establish the max-
                                                    imum possible gas flow through the absorber; and is available regardless of the location of the blower (influent or effluent), as long as the gas
                                                    flow rate through the absorber can be established.
                                                       d If you select this option, then you must comply with § 63.608(f). The regression model must be developed using direct measurements of gas
                                                    flow rate during a performance test, and design fan curves that correlate gas flow rate to static pressure (i.e., fan suction pressure) and brake
                                                    horsepower of the blower. You must conduct an annual regression model verification using direct measurements of gas flow rate during a per-
                                                    formance test to ensure the correlation remains accurate. The annual regression model verification may be conducted during, or separately from,
                                                    the annual performance testing that is required in § 63.606(b).


                                                    ■6. Table 4 to subpart AA of part 63 is                   liquid flow rate and gas stream flow
                                                    amended by revising the entry ‘‘Influent                  rate’’ to read as follows:

                                                               TABLE 4 TO SUBPART AA OF PART 63—OPERATING PARAMETERS, OPERATING LIMITS AND DATA MONITORING,
                                                                                         RECORDKEEPING AND COMPLIANCE FREQUENCIES
                                                                                                                                And you must monitor, record, and demonstrate continuous compliance using
                                                                                                                                these minimum frequencies . . .
                                                    For the operating parameter           You must establish the fol-
                                                    applicable to you, as specified       lowing operating limit . . .                                                                                          Data averaging
                                                    in Table 3 . . .                                                                          Data                                      Data                      period for
                                                                                                                                           measurement                                recording                  compliance


                                                               *                      *                     *                          *                             *                    *                              *
                                                    Influent liquid flow rate and         Minimum influent liquid-to-           Continuous ............................   Every 15 minutes ..................   Daily.
                                                       gas stream flow rate.                gas ratio a.

                                                                *                     *                         *                        *                           *                        *                          *
                                                        a If
                                                          you select the regression model option to monitor influent liquid-to-gas ratio as described in Table 3 to this subpart, then you must also
                                                    continuously monitor (i.e., record every 15 minutes, and use a daily averaging period) blower amperage, blower static pressure (i.e., fan suction
                                                    pressure), and any other parameters used in the regression model that are not a constant.


                                                    Subpart BB—National Emission                              the absorber for use in the liquid-to-gas                     absorber for use in the liquid-to-gas ratio
                                                    Standards for Hazardous Air Pollutants                    ratio as specified in Table 3 to this                         as specified in Table 3 to this subpart,
                                                    From Phosphate Fertilizers Production                     subpart, then you must include in the                         then you must include in the site-
                                                    Plants                                                    site-specific monitoring plan specified                       specific monitoring plan specified in
                                                                                                              in paragraph (c) of this section                              paragraph (c) of this section the
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                                                    ■ 7. Section 63.628 is amended by                         calculations showing how you                                  calculations that were used to develop
                                                    adding paragraphs (e) and (f) to read as                  determined the maximum possible gas                           the regression model, including the
                                                    follows:                                                  flow rate through the absorber based on                       calculations you use to convert
                                                    § 63.628 General requirements and                         the blower’s specifications (including                        amperage of the blower to brake
                                                    applicability of general provisions of this               any adjustments you made for pressure                         horsepower. You must describe any
                                                    part.                                                     drop).                                                        constants included in the equations
                                                      (e) If you use blower design capacity                      (f) If you use a regression model to                       (e.g., efficiency, power factor), and
                                                    to determine the gas flow rate through                    determine the gas flow rate through the                       describe how these constants were


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                                                    89034                  Federal Register / Vol. 81, No. 237 / Friday, December 9, 2016 / Proposed Rules

                                                    determined. If you want to change a                       used in the annual regression model                           ■ b. Revising the entry ‘‘Install CPMS
                                                    constant in your calculation, then you                    verification that is described in Table 3                     for liquid and gas flow at the inlet of the
                                                    must conduct a regression model                           to this subpart.                                              absorber’’; and
                                                    verification to confirm the new value of                  ■ 8. Table 3 to subpart BB of part 63 is
                                                                                                                                                                            ■ c. Adding footnotes ‘‘a’’ through ‘‘d’’
                                                    the constant. In addition, the site-                      amended by:
                                                                                                              ■ a. Revising the column headings ‘‘And
                                                                                                                                                                            to read as follows:
                                                    specific monitoring plan must be
                                                    updated annually to reflect the data                      you must monitor. . .’’ and ‘‘And. . .’’
                                                                                                              by including a reference to footnote a;

                                                                        TABLE 3 TO SUBPART BB OF PART 63—MONITORING EQUIPMENT OPERATING PARAMETERS
                                                    You must . . .                            If . . .                                       And you must monitor . . .a                  And . . .a


                                                              *                 *                             *                      *                  *                                    *                     *
                                                    Install CPMS for liquid and gas           Your absorber is designed and Liquid-to-gas ratio as determined                             You must determine the gas flow
                                                      flow at the inlet of the ab-              operated with pressure drops of        by dividing the influent liquid                      rate through the absorber by:
                                                      sorber b.                                 5 inches of water column or            flow rate by the gas flow rate                     Measuring the gas flow rate at the
                                                                                                less; or                               through the absorber. The units                      absorber inlet or outlet;
                                                                                              Your absorber is designed and            of measure must be consistent                      Using the blower design capacity,
                                                                                                operated with pressure drops of        with those used to calculate this                    with appropriate adjustments for
                                                                                                5 inches of water column or            ratio during the performance                         pressure drop; c or
                                                                                                more, and you choose to mon-           test.                                              Using a regression model.d
                                                                                                itor the liquid-to-gas ratio, rather
                                                                                                than only the influent liquid flow,
                                                                                                and you want the ability to
                                                                                                lower liquid flow with changes in
                                                                                                gas flow.

                                                                *                     *                         *                        *                           *                        *                          *
                                                        a To monitor an operating parameter that is not specified in this table (including process-specific techniques not specified in this table to deter-
                                                    mine gas flow rate through an absorber), you must request, on a site-specific basis, an alternative monitoring method under the provisions of 40
                                                    CFR 63.8(f).
                                                       b For existing sources, if your absorber is designed and operated with pressure drops of 5 inches of water column or less, the compliance date
                                                    is August 19, 2017. In the interim, for existing sources with an absorber designed and operated with pressure drops of 5 inches of water column
                                                    or less, you must install CPMS for pressure at the gas stream inlet and outlet of the absorber, and monitor pressure drop through the absorber.
                                                       c If you select this option, then you must comply with § 63.628(e). The option to use blower design capacity is intended to establish the max-
                                                    imum possible gas flow through the absorber; and is available regardless of the location of the blower (influent or effluent), as long as the gas
                                                    flow rate through the absorber can be established.
                                                       d If you select this option, then you must comply with § 63.628(f). The regression model must be developed using direct measurements of gas
                                                    flow rate during a performance test, and design fan curves that correlate gas flow rate to static pressure (i.e., fan suction pressure) and brake
                                                    horsepower of the blower. You must conduct an annual regression model verification using direct measurements of gas flow rate during a per-
                                                    formance test to ensure the correlation remains accurate. The annual regression model verification may be conducted during, or separately from,
                                                    the annual performance testing that is required in § 63.626(b).


                                                    ■ 9. Table 4 to subpart BB of part 63 is                  flow rate and gas stream flow rate’’ to
                                                    amended by revising the column                            read as follows:
                                                    headings and entry for ‘‘Influent liquid

                                                               TABLE 4 TO SUBPART BB OF PART 63—OPERATING PARAMETERS, OPERATING LIMITS AND DATA MONITORING,
                                                                                         RECORDKEEPING AND COMPLIANCE FREQUENCIES
                                                                                                                                And you must monitor, record, and demonstrate continuous compliance using
                                                                                                                                these minimum frequencies . . .
                                                    For the operating parameter           You must establish the fol-
                                                    applicable to you, as specified       lowing operating limit during                                                                                         Data averaging
                                                    in Table 3 . . .                      your performance test . . .                 Data measurement                            Data recording                  period for
                                                                                                                                                                                                                 compliance


                                                               *                      *                     *                          *                             *                    *                              *
                                                    Influent liquid flow rate and         Minimum influent liquid-to-           Continuous ............................   Every 15 minutes ..................   Daily.
                                                       gas stream flow rate.                gas ratio a.

                                                                *                     *                         *                        *                           *                        *                          *
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                        a If
                                                          you select the regression model option to monitor influent liquid-to-gas ratio as described in Table 3 to this subpart, then you must also
                                                    continuously monitor (i.e., record every 15 minutes, and use a daily averaging period) blower amperage, blower static pressure (i.e., fan suction
                                                    pressure), and any other parameters used in the regression model that are not a constant.


                                                    [FR Doc. 2016–29236 Filed 12–8–16; 8:45 am]
                                                    BILLING CODE 6560–50–P




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Document Created: 2018-02-14 09:03:39
Document Modified: 2018-02-14 09:03:39
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionReconsideration; proposed rule.
DatesComments. Comments must be received on or before January 23, 2017.
ContactFor questions about this proposed action, contact Ms. Susan Fairchild, Sector Policies and Programs Division (D243-02), Office of Air Quality Planning and Standards, Environmental Protection Agency, Research Triangle Park, North Carolina
FR Citation81 FR 89026 
RIN Number2060-AT14
CFR AssociatedEnvironmental Protection; Administrative Practice and Procedure; Air Pollution Control; Hazardous Substances and Reporting and Recordkeeping Requirements

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